There are many entities that can be used to decorate your home and at the same time serve as elements of utility. A Blind is a panel that consists of horizontal slats that are made of several kinds of fabrics. These include plastic, metal as well as another rigid and light material. These Blinds can be used in place of Curtains and other kinds of Shades as these can be swapped in between opened and closed states. These positions of the slats can be easily adjusted by using a controllable rope that makes these slats overlap or separate out depending upon the requirement. Roman Blinds are some elite versions of Window Blinds and these have no intermediate gap in between their slats and are made up of fabric. These can be raised or lowered and for the same reason do not get occupied with dust in between the slats. These are highly adorable and can be used to have a clear view of space outside the window. Vertical Blinds are also some admirable variants and these consist of several slats that are vertical and therefore add a different flavor to the architecture of blind. These are tied together at movable junctions by a thread that controls the movements of these. You can swap in an out to have a closed or open view. Roller Blinds are another variant that are used to customize the movement of the incorporated slats as these can be rolled as a whole up and down. These are also controlled by a single thread that can be modulated using a thread which is vertically linked to the fabric. Outdoor Blinds and Patio Blinds are some popular variants that are used to make the home look more spacious. Awnings are commonly used overhang that can be used in the exterior of homes. These are used to cover the entrance of a place by getting attached to the walls of that place. These are made up of aluminum sheets, wood or some stiff fabric. Folding Arm Awnings are customizable variants that can be expanded or compressed back depending upon the weather condition or requirement. A Shutters is a kind of window covering which is stable and fixed unlike Blinds. These consist of a set of vertical stile that holds together an array of horizontal rails. Louvre Shutters are a variant of this category itself and this consists of solid panels that can be fixed or operable which are mounted inside this frame. These can be made up of several materials which include fabric or wooden depending upon the utility. Plantation Shutter is a shutter that has operable and manipulative louver and has a considerable size of the Louvre blade. Therefore, these are highly preferred due to their flexibility and can be set in accordance with the weather and wind flow. Timber Shutters and Roller Shutters are some of the elite variants of this category that can be used for a number of reasons. These are used for putting a control over the amount of sunlight that enters through it and at the same time provides privacy. These also enhance and add starts to the aesthetic beauty of a building. These can be placed both at the interior as well as exterior of the building.
Life Casting Using Alginate
Alginate Moulding Compound
Alginate is primarily used for making moulds of body parts eg. Hands, Feet, Faces etc. It is very quick setting and will pick up fine detail. It is seaweed based and is non toxic. The dust from alginate (as with any dust) can be a respiratory hazard and precautions should be taken to avoid inhalation
Basic Instructions
Powder/Water Ratio = 1 to 1 ie. 1 cup of Alginate to 1 cup of Cold Water
1) Measure out required quantities
2) Place alginate in a clean dry bowl
3) Add water slowly and begin mixing. Mix vigourously to break down
any lumps. It should have a similar consitency to porridge.
4) Working time is approx 1-2 minutes. You will need to work quickly to
make your mould.
5) When set, you will need to cast plaster into the mould as soon as
possible as your mould will start to break down quickly.
6) When plaster has set remove alginate taking care not to break any
delicate parts.
Chromatic alginate will go purple when mixed, when set it will turn to white.
Notes:
Moulds made from alginate will need to be supported. If taking a mould of a hand this can be done by pouring alginate into a jug or similar vessel and then sink hand into it. Tap to remove any air bubbles. When set alginate is very flexible so you will be able to carefully pull hand out. The jug will provide support. If taking a cast of a face or torso, when the alginate has set, apply a couple of layers of modroc over the top to form the support when
removed.
Alginate will not stick to skin but will grip hair, thoroughly coat any exposed hair with petroleum jelly.
Alginate will bond to fabric. Take care with clothing and furnishings.
When making a face cast ensure subject can breath (straws can be useful for this) and that their eyes are closed. Block nose and earholes with cotton wool and apply petroleum jelly to eye brows and any other exposed facial hair (a swimming cap or similar should be used to cover hair on head) Work from the forehead down, ensuring no air bubbles get trapped
in the corners of the eyes or around the nostrils. Use a lolly stick to work alginate around the nose. When set apply modroc to form support
Approx Quantities Required
Baby Hand or Foot 200g Adult Hand or Foot 450g
Face without Ears 450g Front Torso 900g
These are only approximate guides. It may be worthwhile to do test casts before undertaking larger projects.
If you wish to make copies of your cast use latex to make a reusable mould.
DISCLAIMER:
The information in this guide sheet and otherwise provided by Craft
Wise Ltd is considered accurate. However, no warranty is expressed or implied
regarding the accuracy of the data, the results to be obtained by the use thereof, or that any such use will not infringe any patent. Before using, the user shall determine the suitability of the product for the intended use and user assumes all risk and liability whatsoever in connection therewith.
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Service Permanent Establishment – Oecd, Un And Indian Approach
Introduction
The concept of Permanent Establishment (PE) is a fundamental idea, which is intrinsic to double taxation agreements. The very existence of a PE, only determines the right of a contracting state to tax the profits of an enterprise of the other contracting state. There are three major types of PE which usually exist in double tax treaties:
Fixed PE
Agency PE
Service PE
This article looks at the Service PE concept in the UN Model Convention (MC), OECD MC and Indian tax treaties.
UN Approach
The concept of Service PE exists in Article 5 of UN MC. UN MC, which favors source based taxation, though does not specifically use the expression Service PE, but its Article 5(3) (b), which deals with the concept of Service PE reads as under;
The furnishing of services, including consultancy services, by an enterprise through employees or other personnel engaged by the enterprise for such purpose, but only if activities of that nature continue (for the same or a connected project) within a Contracting State for a period or periods aggregating more than six months within any twelve month period
Developing and emerging economies, which are predominantly capital importing nations, generally try and negotiate Service PE clause in bilateral treaties, so as to tax profits of foreign enterprises operating within their territories, even in circumstances where no Fixed or Agency PE exists.
Indian Tax Treaties
Indias tax treaties are a combination of both OECD and UN MC. India does not follow a uniform definition of PE in its treaties, but is understandably more inclined towards UN approach, with emphasis on source taxation. In fact in certain treaties, for example, the one with United Kingdom, the definition of service PE is even wider than the one in UN MC. There is also a Service PE clause incorporated in the India-US Double Taxation Avoidance Agreement, even though no such concept exists in the US MC.
In recent years, most of the global businesses have entered India to profit from the growing market by way of joint ventures, liaison offices, representatives, branches, agents and also incorporation. This has resulted in spate of tax litigation, especially around the concept of permanent establishment, with the revenue taking a tough stance (fairly or unfairly) to protect and increase its tax coffers.
Indian Service PE
Service PE is attracted by the foreign enterprise in India, if the employees of the foreign enterprise furnish or perform services in India, other than the services covered under royalties or fee for technical services, for a specified period of time. Furnishing of services, and the time factor, are the most important check for attraction of Service PE.
There have been some landmark judgments on the Service PE concept in recent years. Two of those rulings are discussed below.
DIT Vs Morgan Stanley & Co
In this case, the Supreme Court of India had to determine, whether the deputation of employees by Morgan Stanley (MS), to its Indian affiliate Morgan Stanley Advantage Services Private Limited (MSAS), constituted a Service PE. Admittedly MS used to depute its employees to Indian Affiliate for a period exceeding one year. Supreme Court held, that though the US Company had no fixed PE in the country, but deputation of its employees for a period exceeding 90 days, as provided in the India-US Treaty, would attract Service PE in India, and thus MSAS would deem to be the Service PE of MS in India. The court held MSAS, the Indian Affiliate as the Service PE, and not the employees of MS.
Linklaters LLP Vs ITO
A recent ruling by the Mumbai Income Tax Appellate Tribunal has held Linklaters, a UK based global law firm, of having a Service PE in India. The Tribunal had to interpret the India-UK Article 5 dealing with PE, to arrive at the above conclusion. As per the Service PE clause in the treaty, a Service PE is deemed to exist, if there was any furnishing of services including managerial services through the employees or other personnel in the host country for a period exceeding 90 days in case of unassociated enterprise or 30 days in case of associated enterprise, within any twelve-month period.
Admittedly, several partners of the law firm visited India frequently for work, thus satisfying the above criteria. The Tribunal ruled, that the non-resident firm had a Service PE in India in light of above circumstances. The Tribunal also observed, that in order to constitute Service PE, permanence test need not be satisfied.
OECD Approach
Historically OECD has always expressed its preference for residence taxation and given justification for not including Service PE, but it now recognizes the growing role of developing nations, which is reflected in its commentary on Article 5. Though the 2008 update to the OECD Model did not change the definition of PE, but it did add in the commentary an alternative provision for states wishing to include it in their double tax conventions.
The Linklaters judgment is contrary to the OECD principle that a Service PE should not exist if the services are rendered outside the source country. In Linklaters, the services, which were rendered in UK, but utilized in India, were held to be taxable in India. The Tribunal also deviated from the OECD approach on partnership taxation and territorial nexus in the above ruling.
OECD has also stipulated, that Service PE should only exist in case of services provided to third parties only, but in the Indian treaties, Service PE is also deemed to exist even in case of services to associated enterprise.
Conclusion
It is crucial for multinational enterprises to carefully plan the movement of its employees and personnels across territories, so as to avoid giving rise to Service PE, especially in jurisdictions which have incorporated Service PE clauses in their double tax treaties. It is not necessary that deputation of employees would always give rise to Service PE unless there is furnishing of services through those employees.
With the labour becoming so mobile, it is likely that more nations would prefer having Service PE clause in their treaties. But on the contrary, it is possible, that with a few developing nations, especially emerging economies, becoming net exporter of capital rather than net importer, the service PE clause might not seem as attractive to them in future, as it seems now.