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The Authority for Advance Ruling (AAR) in petition no. 34(107TAX610) held that the applicant, an Oman resident who is not liable to pay any income tax in Oman at all, couldn’t get the advantage of DTAA between Oman and India. The AAR followed its earlier ruling in the case of Cyril Eugene Pereira of UAE (105TAX273/239ITR350).

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