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1Who is Non-Resident
2Taxability of Non-residents in India
3General and special rates of tax
 
1GENERAL RATES
 
2Tax on dividends, royalty and technical service fees in the case of foreign companies.
 
3Tax on income from units purchased in foreign currency or capital gains arising from their transfer.
 
4Tax on income from bonds or Global Depository Receipts purchased in foreign currency or capital gains arising from their transfer.
 
5Tax on income from Global depository receipts purchased in foreign currency or capital gains arising from their transfer.
 
6Tax on income of Foreign Institutional Investors from securities or capital gains arising from their transfer.
 
7Tax on non-resident sportsmen or sports associations.
 
8Tax on income from units of an open-ended equity oriented fund of the Unit Trust of India or of Mutual Funds.
4Special Provisions for Non-Resident Indian
 
1Tax on investment income and long-term capital gains.
 
2Capital gains on transfer of foreign exchange assets not to be charged in certain cases.
 
3Special provision for computation of total income of non-residents.
 
4Definitions.
 
5Return of income not to be filed in certain cases.
 
6Benefit under Chapter to be available in certain cases even after the assessee becomes resident.
 
7Chapter not to apply if the assessee so chooses.
5Special provision for computing profits and gains of the business of operation of aircraft in the case of non-residents.
6Special provision for computing income by way of royalties, etc., in case of non-residents.
7Special provision for computing profits and gains of shipping business in the case of non-residents.
8Shipping business of non-residents.
9Deduction of head office expenditure in the case of non-residents.
10Computation of income from international transaction having regard to arm’s length price.
11Transactions not regarded as transfer.
12Incomes not included in total income
13Avoidance of income-tax by transactions resulting in transfer of income to non-residents.
14Avoidance of tax by certain transactions in securities.
15Overriding effect of tax treaties
16Relief from Double Taxation where no treaty exists.
17Recovery of tax in respect of non-resident from his assets.
18Provisions under Income-tax Act
     
 
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