如果该企业通过设在该缔约国另一方的常设机构在该另一国进行营业,其利润可以在该另一国征税,但应仅以属于该常设机构的利润为限。
If the enterprise carries on business as aforesaid, the profits of the enterprise may be taxed in the other State but only so much of them as is attributable to that permanent establishment.
如果该企业通过设在该另一方的常设机构在该另一方进行营业,其利润可以在该另一方征税,但应仅以属于该常设机构的利润为限。
If the enterprise carries on business as aforesaid, the profits of the enterprise may be taxed on the Other Side but only so much of them as is attributable to that permanent establishment.
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