Agreement between the Government of the Russian Federation and the Russian Federation and the Government of the Republic of Argentina on the prevention of double taxation on income and capital taxes The full text of the convention is available on the website of the Directorate General of Public Finance (pdf 99.7kb). 4. The competent authorities of the States can communicate directly with each other in order to reach an agreement within the meaning of the previous paragraphs. Where it is desirable to reach agreement on an oral exchange of views, such an exchange of views may take place through a commission made up of representatives of the competent authorities of the States. 2. The competent authority endeavours to resolve the matter by mutual agreement with the competent authority of the other State, by mutual agreement with the competent authority of the other State, where the objection appears to be well founded and it is unable to find a satisfactory solution to resolve the matter by mutual agreement with the competent authority of the other State to avoid tax evasion which is not in accordance with the agreement. Any agreement reached will be implemented in the domestic law of the States, regardless of the possible time frame. Calendar Agreement between the Government of New Zealand and the Government of the French Republic on the prevention of double taxation and the prevention of income tax evasion 8. If, at any time after the signing of the convention, New Zealand enters an anti-discrimination article in one of its double taxation conventions, the New Zealand government immediately informs the Government of the French Republic in writing through diplomatic channels and enters into negotiations with the Government of the French Republic. to include a non-discriminatory article in the convention. On 30 November 1979, France and New Zealand signed an agreement to avoid double taxation and to prevent tax evasion on income and wealth.
Article 27 of the French Double Taxation Convention stipulates that, in the case of France, its territorial scope includes “the European and overseas departments of the French Republic.” What is it? (d) if he is a national of either state or one, the competent authorities of the States settle the matter by mutual agreement. 3. The competent authorities of the States are working to resolve by mutual agreement any difficulty in implementing the convention. 1. This Convention does not affect the tax privileges of members of diplomatic missions and their personal nationals, members of consular missions or members of permanent missions to international organizations, in accordance with the general rules of international law or the provisions of specific agreements. 5. The competent authorities of the States agree on the nature of the application of the convention and, in particular, the conditions under which residents of one state are subject to obtain tax breaks or exemptions under the convention in the other state. Home > economic relations > bilateral relations > bilateral tax treaties It is stated that the provisions of the Annex Agreement that have been made with the Government of the French Republic with a view to an exemption from double taxation income and income tax under the Income and Income Tax Act of 1976 and income and corporate taxes were imposed by the laws of the French Republic. has taken effect with respect to income tax and supply tax imposed under this Act, notwithstanding what is enshrined in this Act or any other order, in accordance with the content of the agreement.