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The specified inquiries are considered as confirming a constant residence of the foreign organization in case in them the following or similar formulation on sense contains:

"Proves to be true that the organization... (The organization name)... Is during... (The period) is underlined... The person with a constant residence in... (The state) is underlined... In sense of the Agreement (the name of the international contract) between the Russian Federation/sssr is underlined and (the foreign state is underlined)".

As the constant residence in the foreign states is defined on the basis of various criteria, conformity which is established at the moment of the reference behind reception of the necessary document, in the given out document the concrete period (calendar year) in which relation the constant residence proves to be true should be specified. Thus specified period should correspond to that period for which incomes paid to the foreign organization are due.

One acknowledgement of a constant site of the foreign organization for every calendar year payments of incomes, irrespective of quantity and a regularity of such payments, kinds of paid incomes, etc. is represented to the tax agent only

In the documents confirming a constant residence, the press (stamp) competent (or authorized by it), in sense of the corresponding agreement on avoidance of the double taxation, body of the foreign state and the signature of the authorized official of this body is put down.

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