20th December 2019
To whom it may concern
Certification: No Permanent Establishment in India
This is to certify that , hereafter \Establishment (\
a) The company is registered in according to law, with the registration
address: .
b) The Tax Registration number of the Company is .
c) The Company is tax resident of within the meaning of the Tax Treaty preventing
double taxation between China and India (hereafter the \therefore entitled to the benefits of the Treaty.
d) The Company is a non-resident of India in the meaning of the Income tax Act 1961 for
the year 2020.
e) The Company has neither a PE nor a fixed base of business in India as defined under the
Treaty from which it derives its income; the income of which the Company is the beneficial owner is not attributed to any PE (as defined under the above Treaty) in India in terms of the Treaty.
f) In the event of our coming to have a PE in India, we would inform you forthwith, the fact
of the PE in India and the address.
g) The Company is the beneficial owner of the income as defined under the Treaty between
China and India.
For
Signature: Name:
Designation:
RmXXXX XXXX Building, XXXX Road, City, Province, China, PC