| | Date of coming into operation. |
|
---|
| The interest payable on 5¾% Tax Free Registered Stock, 1968, issued under the Development Loan Act, 1967 [Act 1/67], shall be exempt from tax in the hands of persons who ordinarily receive the interest as interest on such stock and not as the gains or profits from any trade or business. |
| | | The interest payable on — |
(a) | the Singapore Government Tax Free 4¾% Registered Stock, 1970; |
|
(b) | the Singapore Government Tax Free 5% Registered Stock, 1970; and |
|
(c) | the Singapore Government Tax Free 5¾% Registered Stock, 1970, |
|
issued under the Development Loan Act 1967 [Act 1/67] shall be exempt from tax in the hands of persons who ordinarily receive the interest as interest on such stocks and not as the gains or profits from any trade or business. |
| |
|
| The interest payable on any Singapore Government Tax Free Registered Stock issued under the Development Loan Act [Cap. 66, 1970 Ed.] and set out in the first column of the Schedule shall be exempt from tax in the hands of persons who ordinarily receive the interest as interest on such stocks and not as the gains or profits from any trade or business, with effect from the dates set out opposite thereto in the second column. |
| | | | | | | (a) | the Singapore Government Tax Free 4¾% Registered Stock, 1971 (1973) Loan No. 1 … |
|
| | | | (b) | the Singapore Government Tax Free 5% Registered Stock, 1971(1976) Loan No. 1 … |
|
| | | | (c) | the Singapore Government Tax Free 5¾% Registered Stock, 1971 (1986/1989) Loan No. 1 … |
|
| | | | (d) | The Singapore Government Tax Free 4¾% Registered Stock, 1971(1973) Loan No. 2 … |
|
| | | | (e) | The Singapore Government Tax Free 5% Registered Stock, 1971(1976) Loan No. 2 … |
|
| | | | (f) | The Singapore Government Tax Free 5¾% Registered Stock, 1971 (1986/1989) Loan No. 2 … |
|
| | |
|
| The interest payable on the following Singapore Government Tax Free Registered Stock issued under the Development Loan Act [Cap. 66, 1970 Ed.] shall be exempt from tax in the hands of persons who ordinarily receive the interest as interest on such stocks and not as gains or profits from any trade or business — |
(a) | the Singapore Government Tax Free 4¾% Registered Stock, 1972 Loan No. 1; |
|
(b) | the Singapore Government Tax Free 5% Registered Stock, 1972 Loan No. 1; and |
|
(c) | the Singapore Government Tax Free 5¾% Registered Stock, 1972 Loan No. 1. |
|
| | | The interest payable on the Singapore Government US$20,000,000 Asian Dollar Bond Issue 1972/1987 in the form of bearer bonds and issued under the External Loans Act [Cap. 67, 1970 Ed.] shall be exempt from tax provided that the recipient of such interest is not a resident of Singapore for the purposes of the Act. |
| | | The interest payable on the following Singapore Government Tax Free Registered Stock issued under the Development Loan Act, 1972 [Act 6/72] shall be exempt from tax in the hands of persons who ordinarily receive the interest as interest on such stocks and not as gains or profits from any trade or business — |
(a) | the Singapore Government Tax Free 4¾% Registered Stock, 1973(1975) Loan No. 1; |
|
(b) | the Singapore Government Tax Free 5% Registered Stock, 1973(1978) Loan No. 1; |
|
(c) | the Singapore Government Tax Free 5⅜% Registered Stock, 1973(1983) Loan No. 1; and |
|
(d) | the Singapore Government Tax Free 5¾% Registered Stock, 1973(1988) Loan No. 1. |
|
| | | The interest payable on the Singapore Government Tax Free 5¾% Registered Stock 1973 (1988) Loan No. 2 issued under the Development Loan Act, 1972 [Act 6/72] shall be exempt from tax in the hands of persons who ordinarily receive the interest as interest on such stocks and not as gains or profits from any trade or business. |
| |
|
| The interest payable on the Loans particulars of which are set out in the Schedule shall be exempt from income tax. |
| | | | | | | | | | | 1. Rollei Singapore (Pte.) Ltd. |
| | Talag Finanzgesellschaft A.G. Zurich. |
| | | 2. Rollei Singapore (Pte.) Ltd. |
| | | | | 3. Rollei Singapore (Pte.) Ltd. |
| | Banque Continentale du Luxembourg S.A. |
| | | 4. Rollei Optical (Pte.) Ltd. |
| | Talag Finanzgesellschaft A.G. Zurich. |
| | | 5. Rollei Optical (Pte.) Ltd. |
| | | | | 6. Rollei Optical (Pte.) Ltd. |
| | Banque Continentale du Luxembourg S.A. |
| |
|
| The interest payable on the Singapore Government Tax Free 6¼% Registered Stock, 1974(1989) Loan No. 1 issued under the Development Loan Act, 1972 [Act 6/72] shall be exempt from tax in the hands of persons who ordinarily receive the interest as interest on such stocks and not as gains or profits from any trade or business. |
| |
|
| The interest payable on the following loans shall be exempt from income tax: |
| | | | | | | | Overseas Textile Co. (Pte.) Ltd. |
| French American Banking Corporation, New York, U.S.A. |
| | | | Overseas Textile Co. (Pte.) Ltd. |
| Export-Import Bank of the United States, New York, U.S.A. |
| | |
|
| The interest payable on the Singapore Government Tax Free 6¼% Registered Stock, 1975(1990) Loan No. 1 issued under the Development Loan Act 1972 [Act 6/72] and the Development Loan Act 1974 [Act 18/74] shall be exempt from tax in the hands of persons who ordinarily receive the interest as interest on such stocks and not as gains or profits from any trade or business. |
| | | The interest payable on the Singapore Government Tax Free 6¼ per cent Registered Stock, 1975(1990) Loan No. 2 issued under the Development Loan Act, 1974 [Act 18/74], shall be exempt from tax in the hands of persons who ordinarily receive the interest on such stocks and not as gains or profits from any trade or business. |
| |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | National Iron & Steel Mills Ltd. |
| English Electric Co. Ltd. |
| | |
|
| The interest payable on the following loans shall be exempt from income tax with effect from the dates shown against them: |
| | | | | | | | | Hansa Offshore (SEA) Pte. Ltd. |
| Deutsche Schiffahrtsbank Aktiengesellschaft |
| | | | | Hansa Offshore (SEA) Pte. Ltd. |
| Deutsche Schiffahrtsbank Aktiengesellschaft |
| | | |
|
| The interest payable on the Singapore Government — |
(a) | Tax Free 5% Registered Stock, 1976(1981) Loan No. 1; and |
|
(b) | Tax Free 6¼% Registered Stock, 1976(1991) Loan No. 1, |
|
issued under the Development Loan Act, 1974 [Act 18/74], shall be exempt from tax in the hands of persons who ordinarily receive the interest on such stocks and not as gains or profits from any trade or business. |
| | | The interest payable on the Singapore Government Tax Free 6¼% Registered Stock, 1976(1991) Loan No. 2 issued under the Development Loan Act, 1974 [Act 18/74], shall be exempt from tax in the hands of persons who ordinarily receive the interest on such stocks and not as gains or profits from any trade or business. |
| | | The interest payable on the Singapore Government — |
(a) | Tax Free 5% Registered Stock, 1976(1981) Loan No. 3; and |
|
(b) | Tax Free 6¼% Registered Stock, 1976(1993) Loan No. 3, |
|
issued under the Development Loan Act, 1974 [Act 18/74], shall be exempt from tax in the hands of persons who ordinarily receive the interest on such stocks and not as gains or profits from any trade or business. |
| | | The interest payable on the Bearer Bonds of the 5½% Swiss France Loan of 1977-89 of the Republic of Singapore issued under the External Loans Act [Cap. 67, 1970 Ed.] shall be exempt from tax provided that the person in receipt of such interest is not resident in Singapore or does not have in Singapore a permanent establishment with which the holding of the bonds is effectively connected. |
| | | The interest payable on the Singapore Government — |
(a) | Tax Free 5% Registered Stock, 1977(1983) Loan No. 1; and |
|
(b) | Tax Free 6¼% Registered Stock, 1977(1997) Loan No. 1, |
|
issued under the Development Loan Act, 1974 [Act 18/74], shall be exempt from tax in the hands of persons who ordinarily receive the interest on such stocks and not as gains or profits from any trade or business. |
| | | The interest payable on the Singapore Government — |
(a) | Tax Free 5½% Registered Stock, 1977(1987) Loan No. 2; and |
|
(b) | Tax Free 6¼% Registered Stock, 1977 (1995/97) Loan No. 2, |
|
issued under the Development Loan Act, 1974 [Act 18/74], shall be exempt from tax in the hands of persons who ordinarily receive the interest on such stocks and not as gains or profits from any trade or business. |
| | | The interest payable on the Japanese Yen Bonds of 1977 — Second Series of the Republic of Singapore issued under the External Loans Act [Cap. 67, 1970 Ed.] shall be exempt from tax provided that the recipient of such interest is not a person resident in Singapore or does not have in Singapore a permanent establishment to which the holding of the bonds is effectively connected. |
| | | The interest paid or which may be payable to Nugan Hand International Holdings Ltd. of 1110 Connaught Centre, Hong Kong, from the placement of funds in the Asian Currency Unit shall be wholly exempt from income tax on condition that the said Nugan Hand International Holdings Ltd. submit to the Comptroller of Income Tax — |
(a) | the annual accounts relating to their regional administrative office; |
|
(b) | a statement of the amount of their deposits with the Asian Currency Unit as at the end of each year and the interest derived therefrom; and |
|
(c) | details of their employees in Singapore including the duties of each of them. |
|
| | | The interest payable on the Singapore Government Tax Free 6¼% Registered Stock, 1978(1998) Loan No. 1 issued under the Development Loan Act, 1974 [Act 18/74], shall be exempt from tax in the hands of persons who ordinarily receive the interest on such stocks and not as gains or profits from any trade or business. |
| |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | | Shenton Shipping Pte. Ltd. |
| Hamburg Afrika Bank, AG, West Germany |
| | | |
|
| The interest payable on the Singapore Government Tax Free 6¼% Registered Stock, 1978(1998) Loan No. 2 issued under the Development Loan Act, 1974 [18/74], and the Development Loan Act, 1978 [Act 1/78], shall be exempt from tax in the hands of persons who ordinarily receive the interest on such stocks and not as gains or profits from any trade or business. |
| | | 1. In this Notification “container” means an article of equipment having a minimum volume of one TEU (twenty-foot equivalent unit), designed and constructed for repeated use for the inter-modal carriage of goods by road, rail or sea and for the interchange of such forms of transportation. |
| | | 2. Rents or other payments accruing to a person resident outside Singapore under any lease or agreement in respect of the use of a container for the carriage of goods by sea shall be exempt from tax. |
| | | 3. Paragraph 3 shall not apply to a permanent establishment in Singapore. |
| |
|
| The interest payable on the following Hire Purchase Loan shall be exempt from income tax: |
| | | | | | | | | | Orient Leasing Co. Ltd., Japan |
| | | | | | Japan Leasing Corporation, Japan |
| | | | | | General Lease Co. Ltd., Japan |
| | | | | | Tokyo Lease Co. Ltd., Japan |
| | | | | | Century Greyhound Leasing And Financial Corporation, Japan |
| }US$77,484,650.60 (for two aircraft) |
| | | | | Diamond Lease Co. Ltd., Japan |
| | | | | | Pacific Lease Co. Ltd., Japan |
| | | | | | Crown Lease Corporation, Japan |
| | | | | | | | | |
|
| The interest payable on the following Hire Purchase Loan shall be exempt from income tax: |
| | | | | | | | | Singapore Airlines Limited |
| Orient Leasing Co. Ltd., Japan |
| | | | | | Japan Leasing Corporation, Japan |
| | | | | | The General Lease Co. Ltd., Japan |
| | | | | | Tokyo Lease Co. Ltd., Japan |
| | | | | | Century Greyhound Leasing And Financial Corporation, Japan |
| | | | | | Diamond Lease Co. Ltd., Japan |
| | | | | | Pacific Lease Co. Ltd., Japan |
| | | | | | Crown Lease Corporation, Japan |
| | | | | | | | | |
|
| The interest payable on the Singapore Government Tax Free 6¼% Registered Stock 1979 (1999) issued under the Development Loan Act, 1978 [Act 1/78], shall be exempt from tax in the hands of persons who ordinarily receive interest on such stock and not as gains or profits from any trade or business. |
| | | 1. 80% of the royalties payable by the Singapore Airlines Limited to Alitalia — Linee Aeree Italiane S.P.A. of Italy under the Agreement of Software Services signed on 22nd December 1978, shall be exempt from tax. |
2. 92½% of the payments made by the Singapore Airlines Limited to Alitalia — Linee Aeree Italiane S.P.A. of Italy under the Agreement on Technical Services signed on 22nd December 1978, shall be exempt from tax. |
| |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | | Smit International South East Asia (Pte.) Limited |
| Risdon Beazley Marine Limited of Northam Bridge, Southampton, England |
| | | |
|
| The interest payable on the loan in respect of the following Hire Purchase Agreement shall be exempt from income tax: |
| | | | | | | | | | Orient Leasing Co. Ltd of Japan |
| | | | | | Japan Leasing Corporation of Japan |
| | | | | | The General Lease Co. Ltd of Japan |
| | | | | | Tokyo Lease Co. Ltd. of Japan |
| | | | | | Century Greyhound Leasing And Financial Corporation of Japan |
| | | | | | Diamond Lease Co. Ltd. of Japan |
| | | | | | Pacific Lease Co. Ltd. of Japan |
| | | | | | Crown Leasing Corporation of Japan |
| | | | | | Nichimen Co. Ltd. of Japan |
| | | |
|
| The interest payable on the Singapore Government Tax Free 6¼% Registered Stock, 1979(1999) Loan No. 2 issued under the Development Loan Act, 1978 [Act 1/78], shall be exempt from tax in the hands of persons who ordinarily receive interest on such stock and not as gains or profits from any trade or business. |
| | | The interest payable on the Singapore Government Tax Free 6¼% Registered Stock, 1979(1999) Loan No. 3 issued under the Development Loan Act, 1978 [Act 1/78], shall be exempt from tax in the hands of persons who ordinarily receive interest on such stock and not as gains or profits from any trade or business. |
| | | The interest payable on the Singapore Government Tax Free 6¼% Registered Stock, 1980(2000) Loan No. 1 issued under the Development Loan Act, 1978 [Act 1/78], shall be exempt from tax in the hands of persons who ordinarily receive interest on such stock and not as gains or profits from any trade or business. |
| |
|
| The interest accrued with effect from 19th December 1979, on the following loan shall be exempt from income tax: |
| | | | | | | | Sumiden Singapore (Pte.) Ltd. |
| Sumitonto Electric Industries Ltd., 15-15 Kitahama Higashi-Ku, Osaka, Japan |
| | |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | | Chian Chiao Shipping Private Ltd. |
| Manufacturers Hanover Export Finance Ltd., 7, Princess Street, London EC2P 2LR |
| | | |
|
| The interest payable on the following loan shall be exempt from income tax for a period of 5 years, with effect from 31st March 1979: |
| | | | | | | | | Schweizerische Schiffshypothekenbank A.G. |
| | |
|
| The interest accrued up to 31st December 1981, on the following loan shall be exempt from income tax: |
| | | | | | | | | Sinatlantic Shipping Pte. Ltd. |
| Schweizerische Schiffshypotheken-bank A.G., Basel Switzerland |
| | | |
|
| The interest accrued on the following loans for the period stated shall be exempt from income tax — |
| | | | | | | | | | | Deutsche Schiffsbeleihungs-Bank A.G., Hamburg, W. Germany |
| | | 25th March 1979 to 31st December 1984. |
| | | | Staatliche Kreditanstalt Oldenburg-Bremen, Bremen, W. Germany |
| | | | | | | Bremer Landesbank Bremen, W. Germany |
| | | 25th June 1979 to 23rd December 1983. |
| |
|
| Interest payable on the Singapore Government Tax Free 6¼% Registered Stocks 1980 (2000) Loan No. 2 issued under the Development Loan Act, 1978 [Act 1/78], shall be exempt from tax in the hands of any person other than a person who receives the interest as trading receipts. |
| | | Interest payable on the Singapore Government Tax Free 6¼% Registered Stocks 1980 (2000) Loan No. 3 issued under the Development Loan Act, 1978 [Act 1/78], shall be exempt from tax in the hands of any person other than a person who receives the interest as trading receipts. |
| |
|
| The interest payable on the following Deutsche Mark loan and its subsequent conversion to Swiss Franc shall be exempt from income tax — |
| | | | | | | | | Sinatlantic Shipping Pte. Ltd. |
| Schweizerische Schiffshypotheken-bank, Basel, Switzerland |
| DM 900,000 (converted to S. Fr. 740,492.75 on 30th June 1979) |
| | |
|
| 1. 92½% of the royalties paid by the Singapore Airlines Ltd. to Alitalia — Lines Aeree Italiane S.p.A. of Italy under the MEMIS Agreement of Software Services signed on 30th April 1980, shall be exempt from tax. |
2. 92½% of the payments made by the Singapore Airlines Ltd. to Alitalia — Lines Aeree Italiane S.p.A. of Italy under the MEMIS Agreement on Technical Services signed on 30th April 1980, shall be exempt from tax. |
| | | 1. 92½% of the payments made by the Singapore Airlines Ltd. to Travel Industries Automated Systems Proprietary Limited of Australia under the agreement for the participation and use of the multi access agents’ reservation system signed on 6th March 1980, shall on and after this date be exempt from tax. |
| | | 2. 92½% of the payments made by Singapore Airlines Ltd. to Multi Access Airline Reservation Systems Ltd. of New Zealand under the agreement for use of a data communications connection to the MAARS Centre signed on 29th August 1980, shall on and after this date be exempt from tax. |
| | | 3. 92½% of the payments made by Singapore Airlines Limited to Air New Zealand Limited under the agreement for the purchase of the rights to use the Flight Data Display System software signed on 10th October 1980, shall on and after this date be exempt from tax. |
| |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | | Loffland Brothers (Singapore) Pte. Ltd. |
| Continental Bank International (Texas), Houston, Texas, USA |
| | | |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | | The Maersk Co. (Singapore) Pte. Ltd. |
| Hitachi Shipbuilding & Engineering Co. Ltd., Osaka, Japan |
| | | |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | | | Hamburgische Landesbank — Girozental Hamburg, Federal Republic of Germany |
| | | |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | | Public Utilities Board, Singapore |
| Kraftwerk Union Aktiengesellschaft, Erlangen, West Germany |
| | | |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | | The Maersk Co. (Singapore) Pte. Ltd. |
| Hitachi Shipbuilding & Engineering Co. Ltd., Osaka, Japan |
| | | |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | | The Maersk Co. (Singapore) Pte. Ltd. |
| Hitachi Shipbuilding & Engineering Co. Ltd., Osaka, Japan |
| | | |
|
| 92½% of the payments made by the Singapore Airlines Limited to the KLM Royal Dutch Airlines on and after 3rd September 1981, for the training, implementation, consultancy and maintenance services rendered pursuant to an Agreement signed on 3rd September 1981, shall be exempt from tax. |
| |
|
| The interest payable on the following loans shall be exempt from income tax: |
| | | | | | | | | Public Utilities Board, Singapore |
| Credit Suisse, Zurich, Switzerland |
| | | |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | | | Grindlay Brandts Export Finance Limited, London |
| | | |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | | | Mitsubishi Heavy Industries Ltd., 5-1 Marunouchi, 2-Chome, Chiyoda-Ku, Tokyo, Japan |
| | | |
|
| Interest payable on the Singapore Government Tax Free 6¼% Registered Stocks, 1982 (maturing 15th April 2002) Loan No. 1 issued under the Development Loan Act, 1978 [Act 1/78], shall be exempt from tax in the hands of persons who ordinarily received interest on such stock and not as gains or profits from any trade or business. |
| | | (a) | a non-resident individual; and |
|
(b) | a person, other than an individual, if that person does not, by himself or in association with others, carry on a business in Singapore and does not have a permanent establishment in Singapore, |
|
from the discounting of the US$20,000,000 8½% Guaranteed Notes due 1992 issued by the Canadian Imperial Bank of Commerce (Asia) Limited shall be exempt from income tax. |
| |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | | | Schweizerische Schiffshypotheken-bank Basel, Switzerland |
| | | |
|
| 92½% of the payments made by the Singapore Airlines Limited to the KLM Royal Dutch Airlines on and after 20th and 26th May 1982, for the training, implementation, consultancy and maintenance services rendered pursuant to two Agreements signed on the said dates by which KLM Royal Dutch Airlines granted to Singapore Airlines Limited a non-exclusive licence to use the “CARE” and “INCRA-BI” systems software shall be exempt from tax. |
| |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | | Johnson Line Singapore (Pte.) Ltd. |
| A/S EKSPORTFINANS (Forretningsbankenes Finansierings-og Eksportkredittinsti-tutt) Oslo, Norway |
| | | |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | | Emporium Holdings (Singapore) Limited |
| Manufacturers Hanover Export Finance Limited, London, United Kingdom |
| | | |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | | Highsea Steamship Pte. Ltd. |
| Deutsche Schiffahrtsbank AG, Bremen; Bremer Bank, Bremen; and Staatliche Kreditanstalt Oldenburg — Bremen, Bremen, Federal Republic of Germany |
| | | |
|
| 75% of the interest payable on the following loan shall be exempt from income tax — |
| | | | | | | | | Telecommunication Authority of Singapore |
| A/S Elektrisk Bureau, Nesbru, Norway |
| | | |
|
| The interest payable on the following loans shall be exempt from income tax: |
| | | | | | | | | Minoru Shipping Pte. Ltd. |
| The Nippon, Credit Bank, Ltd., Head Office, Japan |
| | | | | | The Bank of Tokyo, Ltd., Tokyo Office, Japan |
| | | | | | The Hachijuni Bank, Ltd., Tokyo Branch, Japan |
| | | | | | Deutsche Schiffsbeleihungs-Bank A.G., Hamburg, and Hamburgische Landesbank Girozentrale, Hamburg, (jointly) Federal Republic of Germany |
| | | | | | Schweizerische Schiffshypotheken-bank A.G., Switzerland |
| | | | | | Commerzbank A.G., Bremen Branch, Federal Republic of Germany and Commerzbank A.G., London Branch, Great Britain |
| | | | | | Deutsche Schiffsbeleihungs-Bank A.G., Hamburg, and Hamburgische Landesbank Girozentrale, Hamburg, (jointly) Federal Republic of Germany |
| | | | | | Schweizerische Schiffshypotheken-bank A.G., Switzerland |
| | | | | | Commerzbank A.G., Bremen Bank, Federal Republic of Germany and Commerzbank A.G., London Branch, Great Britain |
| | | |
|
| Interest payable on the Singapore Government Tax Free 6¼% Registered Stocks, 1983 (maturing 15th May 2003) Loan No. 1 issued under the Development Loan Act 1978 [Act 1/78] shall be exempt from tax in the hands of persons who ordinarily receive interest on such stock and not as gains or profits from any trade or business. |
| |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | The Maersk Co. (Singapore) Pte. Ltd. |
| Hitachi Zosen Corporation (formerly known as Hitachi Shipbuilding & Engineering Co. Ltd.), Osaka, Japan |
| | |
|
| The interest payable on the following loans shall be exempt from income tax: |
| | | | | | | | Berg & Bugge Reefers Pte. Ltd. |
| Norsk Skibs Hypothekbank A/S |
| | | | | A/S Laneinstituttet For Skipsbyggeriene |
| | |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | Arctic Shipping Singapore (Pte.) Ltd. |
| Nippon Kokan Kabushiki Kaisha Tokyo, Japan |
| | |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | Singapore Airlines Limited |
| National Westminster Bank PLC |
| | | | The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | Telecommunication Authority of Singapore |
| Credit Commercial De France |
Banque Nationale De Paris |
Banque Francaise Du Commerce Exterieur |
| | |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | National Iron & Steel Mills Limited |
| Daneco Danieli Ecologia SpA |
| | |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | Moluccan Maritime Pte. Ltd. |
| | | |
|
| The interest payments made by the Public Utilities Board to NEI Parsons Ltd. under a Supplementary Agreement dated 31st January 1984 shall be exempt from income tax. |
| |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | Telecommunication Authority of Singapore |
| Lloyds Bank International Limited |
Samuel Montagu & Co. Limited |
The Development Bank of Singapore Limited |
| | |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | Banda Maritime Pte. Limited |
| | | |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | Telecommunication Authority of Singapore |
| Lloyds Bank International Limited |
Samuel Montagu & Co. Limited |
The Development Bank of Singapore Limited |
| | |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | Singapore Airlines Limited |
| The Boeing Company and the Export-Import Bank of the United States |
| | |
|
| The interest payable by Singapore Airlines Limited under a Supplemental Credit Agreement dated 2nd November 1984 to the following lenders shall be exempt from income tax: |
| | | Midland Bank Public Limited Company, U.K. |
National Westminster Bank Public Limited Company, U.K. |
The Chase Manhattan Bank N.A., London Branch |
Manufacturers Hanover Trust Company, London Branch |
Overseas Chinese Banking Corporation Limited, London Branch |
Overseas Union Bank Limited, London Branch |
United Overseas Bank Limited, London Branch |
Morgan Grenfell & Co. Limited U.K. |
Saudi International Bank, AL-Bank AL-Saudi AL-Alami Limited, U.K. |
Dresdner Bank Aktiengesellschaft, Germany |
Bayerische Vereinsbank Aktiengesellschaft, Germany |
Deutsche Bank Aktiengesellschaft, Germany |
Westdeutsche Landesbank Girozentrale, Germany |
Kreditanstalt Fuer Wiederaufbau, Germany |
Banque Francaise Du Commerce Exterieur, France |
| | | |
|
| The interest payable on the following loans shall be exempt from income tax: |
| | | | | | | | Selco Offshore Services Pte. Ltd. |
| | China Shipbuilding Trading Co. Ltd. |
| | | | Selco Supply Vessels Pte. Ltd. |
| | | | | Selco Tug Services Pte. Ltd. |
| | | | | Selco Oilfield Services Pte. Ltd. |
| | | |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | Mass Rapid Transit Corporation |
| Barclays Bank International Limited |
Williams & Glyn’s Bank Plc |
J. Henry Schroder Wagg & Co. Limited |
| | |
|
| The interest payable on the following loans shall be exempt from income tax: |
| | | | | | | | Mass Rapid Transit Corporation |
| HMT Consort (H.K.) Limited |
| | | | | Nishimatsu Construction Co. Ltd. |
| | |
|
| The lease rentals payable by Singapore Airlines Limited to Wilmington Trust Company for the following aircraft shall be exempt from income tax: |
| | | | | | | (a) | B747-312 (Stretched Upper Deck) aircraft FAA Registration No. N 118 KD Manufacturer’s Serial No. 23029 |
|
| | | | (b) | B747-312 (Stretched Upper Deck) aircraft FAA Registration No. N 119 KE Manufacturer’s Serial No. 23030 |
|
| | | | (c) | B747-312 (Stretched Upper Deck) aircraft FAA Registration No. N 121 KG Manufacturer’s Serial No. 23032 |
|
| | |
|
| The royalties payable by The Development Bank of Singapore Limited to Hoskyns Group Limited, U.K., under the Licence Agreement dated 9th October 1981 for the purchase of the Kapiti International Banking System shall be exempt from income tax. |
| |
|
| There shall be exempt from tax interest received from any of the £40,000,000 Commonwealth Bank of Australia 11% Notes due 1992 constituted by a Trust Deed dated 12th April 1985 by — |
(a) | any non-resident individual; and |
|
(b) | any person, other than an individual, if that person does not, by himself or in association with others, carry on a business in Singapore and does not have a permanent establishment in Singapore. |
|
| |
|
| The interest payable on the following loans shall be exempt from income tax: |
| | | | | | | | Pacific International Lines (Pte.) Limited |
| Mitsubishi Heavy Industries Ltd., Japan |
| 31st January 1985 and 29th March 1985. |
| |
|
| There shall be exempt from tax interest received from any of the ECU 50,000,000 Australian and New Zealand Banking Group Limited (Singapore Branch) 9¾% Bonds due 1992 issued on 30th April 1985 by — |
(a) | any non-resident individual; and |
|
(b) | any person, other than an individual, if that person does not, by himself or in association with others, carry on a business in Singapore and does not have a permanent establishment in Singapore. |
|
| | | The interest payable by Anin Shipping (Pte.) Ltd. (‘Anin’) to A/S Eksportfinans of Norway (‘Eksportfinans’) under — |
(a) | the agreement dated 25th November 1982 between Visntra Shipping Co. (Pte.) Ltd., Anin and Eksportfinans in respect of the ship Viking Snipe shall be deemed to have ceased to be exempt from income tax with effect from 3rd May 1985; |
|
(b) | the agreement dated 25th November 1982 between Independent Shipping Co. (Pte.) Ltd., Anin and Eksportfinans in respect of the ship Viking Gull shall be deemed to have ceased to be exempt from income tax with effect from 9th May 1985; and |
|
(c) | the agreement dated 25th November 1982 between Independent Shipping Co. (Pte.) Ltd, Anin and Eksportfinans in respect of the ship Viking Tern shall be deemed to have ceased to be exempt from income tax with effect from 15th August 1985. |
|
| | | The royalties payable by the Development Bank of Singapore Limited to Kapiti Limited, U.K., under the Amendment to the Licence Agreement dated 12th October 1981 for the purchase of the upgraded version of the Kapiti International Banking System shall be exempt from income tax. |
| | | There shall be exempt from tax interest received from any of the A$100,000,000 Australia and New Zealand Banking Group Limited (Singapore Branch) 12¾% Bonds due 1990 issued on 8th August 1985 by — |
(a) | any non-resident individual; and |
|
(b) | any person, other than an individual, if that person does not, by himself or in association with others, carry on a business in Singapore and does not have a permanent establishment in Singapore. |
|
| | | There shall be exempt from tax interest received from any of the A$60,000,000 Australia and New Zealand Banking Group Limited (Singapore Branch) 13½% Bonds due 1992 issued on 17th June 1985 by — |
(a) | any non-resident individual; and |
|
(b) | any person, other than an individual, if that person does not, by himself or in association with others, carry on a business in Singapore and does not have a permanent establishment in Singapore. |
|
| | | There shall be exempt from tax interest received from any of the A$50,000,000 Commonwealth Bank of Australia 13¼% Notes due 1990 issued on 29th April 1985 by — |
(a) | any non-resident individual; and |
|
(b) | any person, other than an individual, if that person does not, by himself or in association with others, carry on a business in Singapore and does not have a permanent establishment in Singapore. |
|
| |
|
| The interest payable on the following loans shall be exempt from income tax: |
| | | | | | | | Mass Rapid Transit Corporation |
| Credit Commercial De France |
| | | | | | Banque Francaise Du Commerce Extérieur |
| | | | | | | |
|
| The royalties payable by Singapore Airlines Limited to Chayoak Limited, U.K., under the Agreement dated 18th July 1985 for an exclusive perpetual licence to market computer software shall be exempt from income tax. |
| |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | The Development Bank of Singapore Limited |
| Sumitomo Life Insurance Company, Japan |
Asahi Mutual Life Insurance Company, Japan |
The Chiyoda Mutual Life Insurance Company, Japan |
The Dai-Ichi Mutual Life Insurance Company, Japan |
The Meiji Mutual Life Insurance Company, Japan |
Nippon Life Insurance Company, Japan |
| | |
|
| There shall be exempt from tax interest received from any of the Swiss Franc 50,000,000 Commonwealth Bank of Australia (Singapore Branch) 5.125% Bearer Notes due 1992 issued on 16th October 1985 by — |
(a) | any non-resident individual; and |
|
(b) | any person, other than an individual, if that person does not, by himself or in association with others, carry on a business in Singapore and does not have a permanent establishment in Singapore. |
|
| |
|
| The interest payable on the following loans shall be exempt from income tax: |
| | | | | | | | Marininvest Shipping (Singapore) Pte. Ltd. |
| Gotabanken and Ostgotabanken |
Hyundai Heavy Industries Co. Ltd. |
| | | | The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | Ocean Serene Shipping Pte. Ltd. |
| | | |
|
| There shall be exempt from tax interest received from any of the A$150,000,000 Commonwealth Bank of Australia 13.80% Notes due 1st February 1991 issued on 28th January 1986 by — |
(a) | any non-resident individual; and |
|
(b) | any person, other than an individual, if that person does not, by himself or in association with others, carry on a business in Singapore and does not have a permanent establishment in Singapore. |
|
| |
|
| The interest payable on the following loan shall be exempt from income tax: — |
| | | | | | | | Thomar Shipping Pte. Ltd. |
| Christiania Bank Og Kreditkasse |
| | |
|
| The interest payable on the following loans shall be exempt from income tax: |
| | | | | | | | Regional Container Lines Pte. Ltd. |
| Korea Shipbuilding & Engineering Corporation |
| | | | | | | |
|
| There shall be exempt from tax interest received from any of the Commonwealth Bank of Australia (Singapore Branch) Notes set out in the Schedule by — |
(a) | any non-resident individual; and |
|
(b) | any person, other than an individual, if that person does not, by himself or in association with others, carry on a business in Singapore and does not have a permanent establishment in Singapore. |
|
| | | | | | | | | | (a) | A$125,000,000 12⅞% Notes due 1990 |
|
| | | | (b) | Sfrs. 100,000,000 4¾% Notes 1986-91 |
|
| | | | (c) | A$100,000,000 13% Notes due 15th March 1989 |
|
| | | | 1. The lease rentals payable by Singapore Airlines Limited to Wilmington Trust Company for the following aircraft shall be exempt from income tax: |
| | | | | | | (a) | B747-312 (Stretched Upper Deck) aircraft U.S. Registration No. N 120 KF Manufacturer’s Serial No. 23031 |
|
| | | | (b) | B747-312 (Stretched Upper Deck) aircraft U.S. Registration No. N 122 KH Manufacturer’s Serial No. 23033 |
|
| | | | (c) | B747-312 (Stretched Upper Deck) aircraft U.S. Registration No. N 123 KJ Manufacturer’s Serial No. 23243 |
|
| | | | (d) | B747-312 (Stretched Upper Deck) aircraft U.S. Registration No. N 124 KK Manufacturer’s Serial No. 23244 |
|
| | | | 2. The interest payable by Singapore Airlines Limited to Sumitomo Trust and Banking (Luxembourg) S.A., Luxembourg under the Exchange Agreement dated 12th June 1985 shall also be exempt from income tax. |
| |
|
| There shall be exempt from tax interest received from any of the DM 120,000,000 Commonwealth Bank of Australia (Singapore Branch) 5¼% Deutsche Mark Bonds due 1986/1991 issued on 10th April 1986 by — |
(a) | any non-resident individual; and |
|
(b) | any person, other than an individual, if that person does not, by himself or in association with others, carry on a business in Singapore and does not have a permanent establishment in Singapore. |
|
| |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | The Development Bank of Singapore Limited |
| Nippon Life Insurance Company, Tokyo |
| | |
|
| The interest payable on the following loans shall be exempt from income tax: |
| | | | | | | | Transpetrol Tanker Chartering Pte. Limited |
| Deutsche Schiffahrtsbank Aktiengesellschaft |
| | | | Transpetrol Shipping Pte. Ltd. |
| Credit Lyonnais Bank Nederland N.V. |
| | | | Transpetrol Maritime Pte. Limited |
| Banque Paribas (Suisse) S.A. |
| | | | Transpetrol Tankers Pte. Limited |
| United Overseas Bank S.A. |
| | | | Transpetrol Navigation Pte. Limited |
Transpetrol Carriers Pte. Limited |
| | | |
|
| 1. The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | Transpetrol Bulk Pte. Limited |
| Bankers Trust Company, London |
| | | | 2. The arrangement fee payable by Transpetrol Bulk Pte. Limited to Bankers Trust Company, London under the Loan Agreement as specified in paragraph 1 shall also be exempt from income tax. |
| |
|
| There shall be exempt from tax interest received from any of the US$100,000,000 Commonwealth Bank of Australia (Singapore Branch) 10% Notes due 1985/1993 issued on 11th September 1985 by — |
(a) | any non-resident individual; and |
|
(b) | any person, other than an individual, if that person does not by himself or in association with others, carry on a business in Singapore and does not have a permanent establishment in Singapore. |
|
| |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | Clementina Trading Pte. Ltd. |
| Samsung Shipbuilding & Heavy Industries Co. Ltd., Seoul, Korea |
| | |
|
| There shall be exempt from tax interest received on any of the AUD 75,000,000 Commonwealth Bank of Australia (Singapore Branch) 12⅞% Euro-Australian Dollar Bonds due 1986/1990 issued on 19th June 1986 by — |
(a) | any non-resident individual; and |
|
(b) | any person, other than an individual, if that person does not, by himself or in association with others, carry on a business in Singapore and does not have a permanent establishment in Singapore. |
|
| | | The licence fee of US$26,000 payable by Singapore Airlines Limited to Broadway Management Services Ltd., Hong Kong under the Licence Agreement dated 18th July 1986 for the licence to use the Auditing Software packages collectively known as “C.A.R.S.” shall be exempt from income tax. |
| |
|
| The lease rentals payable by Singapore Airlines Limited to the companies set out in the first column of the Schedule for the aircraft shown against their respective names shall be exempt from income tax — |
| | | | | | | | | | | | | | | | | B747-312 (Stretched Upper Deck) Aircraft U.S. Registration No. N125 KL Manufacturer’s Serial No. 23245 |
| | | | Mitsui Finance Service Co. Ltd. |
| B747-312 (Stretched Upper Deck) Combi Aircraft U.S. Registration No. 9V-SKN Manufacturer’s Serial No. 23401 |
| | |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | | Shiffshypothekenbank zu, Luebeck, AG, West Germany |
| | | | The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | The Development Bank of Singapore Limited |
| The Dai-Ichi Mutual Life Insurance Company, Japan |
| | | | | The Long-Term Credit Bank of Japan, Limited, Japan |
| | |
|
| The professional fee of US$475,000 payable by Singapore Airlines Limited to Landor Associates Asia-Pacific Ltd., Hong Kong, under the Agreement dated 1st August 1986 for the development of a corporate identity system shall be exempt from income tax. |
| | | There shall be exempt from income tax — |
(a) | the initial right-to-use fee of US$17,000,160 payable by Telecommunication Authority of Singapore to AT & T International Inc., USA under the Agreement dated 14th August 1986 for the purchase of two international gateway digital telecommunications switching software systems; and |
|
(b) | such other additional right-to-use fees arising from future purchases of software relating to the purchase of new features or facilities, modifications, expansions, replacements or other optional items necessary for the two systems to function. |
|
| | | There shall be exempt from tax interest received from any of the CAD $100,000,000 Commonwealth Bank of Australia (Singapore Branch) 9½% Euro-Canadian Bonds due 1986/1992 issued on 4th November 1986 by — |
(a) | any non-resident individual; and |
|
(b) | any person, other than an individual, if that person does not, by himself or in association with others, carry on a business in Singapore and does not have a permanent establishment in Singapore. |
|
| |
|
| The interest and finance charge payable on the following loan shall be exempt from income tax: |
| | | | | | | | Singapore Bus Service (1978) Limited |
| Grindlays Asia Limited, Hong Kong |
| | |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | | N.V. Nissho Iwai (Benelux) S.A. Belgium |
| | |
|
| The royalties payable by Kyowa Singapore Pte. Ltd. to Kyowa Company Ltd., Japan under the Technology Assistance Agreement dated 1st January 1987 for acquiring the Stanalloy Process finished in GS-B and GS-B-B Neo Black licence and technology shall be exempt from income tax for a period of 5 years, with effect from 1st January 1987. |
| | | The licence fee and technical information fee payable by Enamelled Wire & Cable (Singapore) Pte. Ltd. to Showa Electric Wire & Cable Co. Ltd., Japan under the License Agreement dated 1st January 1982 for the production and sale of enamelled electric wire and power cables shall be exempt from income tax, with effect from 13th September 1986. |
| |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | Public Utilities Board of Singapore |
| Midland Bank Public Limited Company, London |
| | |
|
| The royalties payable by Jurong Industries Limited to Eastech Japan Ltd., Japan under the License Agreement dated 31st December 1985 to acquire the licence to use the technical information and trademark for the production and sale of monolithic refractory, shall be exempt from income tax for a period of 5 years, with effect from 31st December 1985. |
| | | The interest payable to Uddevalla Shipping AB, Sweden under — |
(a) | the agreement dated 29th November 1980 between Uller Shipping Co. (Pte.) Ltd. and Uddevalla Shipping AB, Sweden in respect of the ship Viking Osprey shall be deemed to have ceased to be exempt from income tax, with effect from 24th March 1987; and |
|
(b) | the agreement dated 29th November 1980 between Vinstra Shipping Co. (Pte.) Ltd. and Uddevalla Shipping AB, Sweden in respect of the ship Viking Harrier shall be deemed to have ceased to be exempt from income tax, with effect from 18th March 1987. |
|
| | | The interest payable by Neptune Orient Lines Ltd. to Merrill Lynch Capital Services, Inc., New York under the Rate Swap Agreement dated 27th March 1987 shall be exempt from income tax. |
| | | The licence fee of US$20,750 payable by Singapore Airlines Limited to Executive Computing Pty. Ltd, Australia under the Software Agreement dated 23rd April 1987 for the licence to use the FILE-AID SPF Utility System, shall be exempt from income tax. |
| | | The net royalties payable by Tandon (S) Pte. Ltd. to Tandon Corporation, USA, under the Licence Agreement executed on 1st January 1982 and which became effective on that date shall be taxed at a reduced rate of 20%. |
| | | The consultancy fee of S$28,101 payable by Telecommunication Authority of Singapore to Sofrepost, France, under the Contract of Postal Consultancy for Jalan Eunos Postal Complex dated 9th February 1983 for the engineering design plans done in Singapore, shall be exempt from income tax. |
| |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | The Development Bank of Singapore Limited |
| The Taiyo Mutual Life Insurance Company, Japan |
| | |
|
| 1. The lease rentals payable by Singapore Airlines Limited to the companies set out in the first column of the Schedule for the aircraft specified in the second column shall be exempt from income tax: |
| | | | | | | | | | | | | | | | Showa Aviation Co. Ltd., Japan |
STSQ Leasing Co. Ltd., Japan |
| B747-300 Combi Aircraft Singapore Registration Mark |
9V-SKP Manufacturer’s Serial No. 23769. |
| | | | 2. The fees payable by Singapore Airlines Limited to Rodocanachi Leasing Limited, London during the charter period from 20th March 1987 to 28th April 1987 shall also be exempt from income tax. |
| |
|
| The net interest and management fees payable by Singapore Bus Service (1987) Limited to Australia and New Zealand Banking Group Limited, Hong Kong under the Rate Swap Agreement dated 31st August 1987, shall be exempt from income tax. |
| | | The interest payable by Neptune Orient Lines Ltd. to Hyundai Heavy Industries Co., Ltd., Korea, on two Shipping Contracts dated 28th August 1984 shall be exempt from income tax. |
| | | The licence fee of US$75,000 payable by Singapore Airlines Limited to Alitalia-Linee Aeree Italiane S.p.A., Italy under the Agreement on Software Services dated 1st July 1987 for the purchase of the “Modification Management” software package, shall be exempt from income tax. |
| | | The licence fee of US$22,800 payable by Singapore Airlines Limited to UCCEL Software Products Pty. Limited, Australia under the Licence Agreement for UCCEL Systems Software dated 30th June 1987 for the licence to use the Tape Management Software Package, shall be exempt from income tax. |
| | | There shall be exempt from tax interest received from any of the NZ$50,000,000 Commonwealth Bank of Australia (Singapore Branch) 17¼% Notes due 1990 issued on 11th August 1987 by — |
(a) | any non-resident individual; and |
|
(b) | any person, other than an individual, if that person does not, by himself or in association with others, carry on a business in Singapore and does not have a permanent establishment in Singapore. |
|
| | | The licence fee of US$288,500 payable by Singapore Airlines Limited to Qantas Airways Limited, Australia under the Licence Agreement dated 26th March 1987 for the right to use the “QUADS” software package, shall be exempt from income tax. |
| | | The lease rentals payable by Singapore Airlines Limited to Showa Aviation Co. Ltd., Japan under the Lease Agreement dated 3rd July 1987 for the lease of airbus A310-300 aircraft bearing Registration Mark 9V-STO and Manufacturer’s Serial No. MSN 433 shall be exempt from income tax. |
| | | The interest payable by Hyundai Singapore Shipping Co. Pte. Ltd. to Hyundai Heavy Industries Co., Ltd., Korea, on 4 Shipbuilding Contracts dated 21st July 1986, shall be exempt from income tax. |
| |
|
| The interest payable on the following loan shall be exempt from income tax for the period from 11th September 1987 to 19th January 1988: |
| | | | | | | | | Redernes Skibskreditforening Norway |
| | |
|
| The interest payable by Neptune Orient Lines Limited to the Chuo Trust And Banking Company, Limited, Japan, under the Interest Rate Swap Agreement dated 23rd February 1988 shall be exempt from income tax. |
| | | The licence fee of US$200,000 payable by Singapore Airlines Limited to Qantas Airways Limited, Australia, under the Licence Agreement dated 31st December 1987 for the licence to install and use the “Automated System Producing In-Flight Catering” (ASPIC) shall be exempt from income tax. |
| | | The lease rentals payable by Singapore Airlines Limited to Lotus One, France, under the Lease Agreement dated 21st December 1987 for the lease of airbus A310-300 aircraft bearing Registration Mark 9V-STP and Manufacturer’s Serial No. 443 shall be exempt from income tax. |
| | | There shall be exempt from tax interest received from any of the Can $50,000,000 Commonwealth Bank of Australia (Singapore Branch) 9½% Notes due 1992 issued on 22nd February 1988 by — |
(a) | any non-resident individual; and |
|
(b) | any person, other than an individual, if that person does not, by himself or in association with others, carry on a business in Singapore and does not have a permanent establishment in Singapore. |
|
| | | 1. The lump sum fees of Austrian Shillings 1,073,000 payable by Development Bank of Singapore Limited to Management Data, Austria under the Contract for CORONA II — Software Utilization Rights dated 12th May 1988 for the right to use the “CORONA II” software package for a period of 25 years, shall be exempt from income tax. |
2. The monthly maintenance fees of Austrian Shillings 9,800 payable by Development Bank of Singapore Limited under the Contract for CORONA II — Software Maintenance dated 12th May 1988 for maintenance services performed by Management Data, Austria, shall also be exempt from income tax. |
| | | The interest payable by Nippon Oil (Asia) Pte. Ltd. to the Mitsui Trust And Banking Company, Limited, Singapore Branch under the Interest Rate Exchange Agreement dated 26th May 1988 shall be exempt from income tax. |
| |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | The Development Bank of Singapore Limited |
| Daido Mutual Life Insurance Company, Japan |
| | |
|
| 1. The lump sum fees of Austrian Shillings 951,750 payable by Standard Chartered Bank, Singapore to Management Data, Austria under the Contract for CORONA II — Software Utilisation Rights dated 27th August 1988 for the right to use the “CORONA II” software package for a period of 10 years shall be exempt from income tax. |
2. The annual maintenance fees of Austrian Shillings 139,200 payable by Standard Chartered Bank, Singapore under the Contract for CORONA II — Software Maintenance dated 27th August 1988 for maintenance services performed by Management Data, Austria, shall also be exempt from income tax. |
| | | 1. The licence fee of US$39,907 payable by Development Bank of Singapore Limited to Hisoft Computers Pty. Ltd., Australia under the Software Licence Agreement dated 12th October 1988 for the right to use the “HiPortfolio” software package, shall be exempt from income tax. |
2. The annual support fees payable by Development Bank of Singapore Limited under the Software Support Agreement dated 12th October 1988 for software support performed by Hisoft Computers Pty. Ltd., Australia, shall also be exempt from income tax. |
| | | The interest and arrangement fee of US$45,000 payable by Transpetrol Shipping (Pte.) Limited to Bankers Trust Company, U.K., under the Loan Agreement dated 19th January 1987 for the period from 20th January 1987 to 19th May 1987 shall be exempt from income tax. |
| | | The licence fee of US$1,586,000 payable by United Overseas Bank Limited to Systematics, Inc., United States under the Investment Charter Software Licence Agreement dated 11th November 1988 for the non-exclusive licence to use the MVS versions of the computer software programs, shall be exempt from income tax. |
| | | The training, assistance and supervision fees of S$190,000 payable by Singapore Shipbuilding and Engineering Limited to Kochums Computer System AB, Sweden under the Licence Agreement dated 15th October 1988 for the purchase of CAD-CAM system, shall be exempt from income tax. |
| | | The lease rental of US$5,047,665 per annum payable by Tradewinds Pte. Limited to GPA Group Limited, Republic of Ireland under the Aircraft Lease Agreement dated 11th November 1988 for the lease of the McDonnell Douglas MD87 (Serial No. 49673) aircraft, shall be exempt from income tax. |
| |
|
| 1. The lease rentals payable by Singapore Airlines Limited to the companies set out in the first column of the Schedule for the aircraft specified in the second column shall be exempt from income tax. |
| | | | | | | | | | | | | | | | (1) Orient Aircraft Co., Ltd., Japan |
(2) Sanki Shoji Co., Ltd., Japan |
(3) Fukui Yamada Chemical Co., Ltd., Japan |
(4) Sanwa Kensetsu Co., Ltd., Japan |
(5) Yamada Chemical Co., Ltd., Japan |
(6) Saga Kensetsu Co., Ltd., Japan |
(7) Sansho Seiyaku Co., Ltd., Japan |
(8) Iuchiseieido Co., Ltd., Japan |
| B747-212F Freighter Aircraft Singapore Registration Mark 9V-SKQ Manufacturer’s Serial No. 24177 |
| | | | 2. The fees of US$100 payable by Singapore Airlines Limited to Boeing Sales Corporation, USA, during the charter period from 29th August 1988 to 14th October 1988 shall be exempt from income tax. |
| |
|
| There shall be exempt from tax interest received from any of the A$75,000,000 14% Bearer Bonds of 1988/1992 issued by Dresdner (South East Asia) Limited, Singapore on 24th November 1988 by — |
(a) | any non-resident individual; and |
|
(b) | any person, other than an individual, if that person is neither a resident of nor a permanent establishment in Singapore. |
|
| |
|
| 1. Subject to paragraph 2, the interest payable on the following loan made pursuant to a Loan and Guarantee Facility Agreement dated 15th May 1987 (referred to in this Notification as the Agreement) made between the following borrowers and lenders (referred to in this Notification respectively as the borrowers or lenders) shall be exempt from income tax: |
| | | | | | | | Transpetrol Maritime Pte. Limited |
| Bankers Trust Company, UK |
| | | | Transpetrol Tankers Pte. Limited |
| Credit Lyonnais Bank Nederland N.V., Netherlands |
| | | | Transpetrol Carriers Pte. Limited |
| Nederlandse Scheephyotheebank |
| | | | Transpetrol Shipping Pte. Limited |
| | | | | 2. The exemption from income tax referred to in paragraph 1 on interest payable by — |
(a) | Transpetrol Maritime Pte. Limited in respect of the vessel “Faith” under the Agreement shall only be granted for interest paid on or before 16th November 1987; |
|
(b) | Transpetrol Tankers Pte. Limited in respect of the vessel “Turmoil” under the Agreement shall only be granted for interest paid on or before 2nd January 1988; and |
|
(c) | Transpetrol Carriers Pte. Limited in respect of the vessel “Tenacity” under the Agreement shall only be granted for interest paid on or before 28th January 1988. |
|
3. The following fees arising from the Agreement shall be exempt from income tax: |
(a) | management and agency fees of US$205,000 payable by the borrowers to Bankers Trust Company, UK; and |
|
(b) | participants and commitment fees of US$172,303.50 payable by the borrowers to the lenders. |
|
4. Any payment made by Transpetrol (Asia) Pte. Limited as guarantor under the Agreement shall be exempt from income tax. |
| |
|
| There shall be exempt from tax interest received from any of the NZ$50,000,000 14⅛% Bearer Bonds of 1989/1992 issued by Dresdrier (South East Asia) Limited, Singapore on 14th February 1989 by — |
(a) | any non-resident individual; and |
|
(b) | any person, other than an individual, if that person is neither a resident of nor a permanent establishment in Singapore. |
|
| | | The swap payments made by the Dai-Ichi Kangyo Bank Ltd., Singapore Branch to Housing Corporation of New Zealand, New Zealand under the Interest Rate and Currency Exchange Agreement dated 17th March 1989 shall be exempt from income tax. |
| | | The swap payments made by the Dai-Ichi Kangyo Bank Ltd., Singapore Branch to Australian Industry Development Corporation, Australia under the Interest Rate and Currency Exchange Agreement dated 20th March 1989 shall be exempt from income tax. |
| | | 1. The swap payments made by Neptune Orient Lines Ltd. to The Chuo Trust & Banking Co., Ltd., Japan under the two Interest Rate Exchange Agreements dated 27th March 1989 shall be exempt from income tax. |
2. Any interest payment made by the Development Bank of Singapore Limited as guarantor under the two Instalment Sale Agreements dated 27th March 1989 shall also be exempt from income tax. |
| |
|
| 1. The interest payable on the following loan made pursuant to a Loan Agreement dated 26th May 1988 (referred to in this Notification as the “Agreement”) made between the following borrowers and lenders (referred to in this Notification as the borrowers and lenders, respectively) shall be exempt from income tax: |
| | | | | | | | Transpetrol Tankers Pte. Ltd. |
| | Bankers Trust Company, United Kingdom Credit Lyonnais Bank |
Nederland N.V., Netherlands |
Banque Paribas (Suisse) S.A., Switzerland |
| | | | Transpetrol Tanker Chartering Private Limited |
| | | | | Black Navigation Pte. Ltd. |
| | | | | 2. The commission of US$36,162.50 payable by the borrowers to the lenders under the Agreement shall be exempt from income tax. |
3. Any payment made by any of the following companies as guarantors under the Agreement shall also be exempt from income tax: |
(a) | Transpetrol (Asia) Private Ltd. |
|
(b) | Transpetrol Shipping Pte. Ltd. |
|
(c) | Transpetrol Navigation Pte. Ltd. |
|
(d) | Maritime Tankers Pte. Ltd. |
|
(e) | Black Carriers Pte. Ltd. |
|
(f) | Transpetrol Seaway Pte. Ltd. |
|
(g) | Black Shipping Pte. Ltd. |
|
4. The commission of US$60,437.50 payable by Transpetrol Tankers Pte. Ltd. and Transpetrol Tanker Chartering Private Limited to Bankers Trust Company, United Kingdom and Credit Lyonnais Bank Nederland N.V., Netherlands under the Loan Agreement dated 11th February 1988 shall be exempt from income tax. |
| |
|
| The interest and finance charge payable by Singapore Bus Service (1978) Limited to ANZ Asia Limited, Hong Kong under the Loan Agreement dated 21st July 1989 shall be exempt from income tax. |
| |
|
| The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | Pacific International Lines (Private) Limited |
| (a) | Kudos Maritime Corp., Republic of Panama |
|
| | | | | (b) | Meridian Carriers Inc., Republic of Panama |
|
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| The initialisation fee of £7,000 and the licence fee of £27,000 payable by Singapore Network Services Pte. Ltd. to SD-SCION Plc., United Kingdom under the Agreement dated 4th October 1988, for the acquisition of distribution rights relating to the marketing and reproduction of the software products known as “INTERBRIDGE Release 4”, shall be exempt from income tax. |
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| 1. The interest payable on the following loan shall be exempt from income tax: |
| | | | | | | | White Maritime Pte Limited |
| Den Norske Creditbank, Norway. |
| | | | 2. The commitment fees, undrawn commitment fees and agency fees payable by White Maritime Pte Ltd to Den Norske Creditbank, Norway under the Loan Agreement dated 16th August 1989 shall also be exempt from income tax. |
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| The lump sum licence fee of US$500,000 payable by Telecommunication Authority of Singapore to Mtel International, Inc., U.S.A. under the Software Agreement dated 20th November 1989 for the exclusive and non-transferable right to use the software and trademarks in connection with the operation of the Mtel Paging System shall be exempt from income tax. |
| | | There shall be exempt from tax interest received from the US$35 million Step-down Coupon Notes due 1993 issued by Fujikura International Management (Singapore) Pte., Ltd. on 24th August 1989 by — |
(a) | any non-resident individual; and |
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(b) | any person, other than an individual, if that person is neither a resident of nor a permanent establishment in Singapore. |
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| | | | | | The interest and finance charge payable by Singapore Bus Services (1978) Limited to ANZ Asia Limited, Hong Kong under the Loan Agreement dated 14th February 1990, shall be exempt from income tax. |
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| The interest payable on the following loans shall be exempt from income tax: |
| | | | | | | | A. P. Moller Singapore Pte. Ltd. |
| (a) | Dampskibsselskabet af 1912 Aktieselskab, Denmark 1988. |
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(b) | Aktieselskabet Dampskibsselskabet Svendorg, Denmark |
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| 1. The interest payable on the following loan shall be exempt from income tax for the period from 30th June 1989 to 20th October 1989: |
| | | | | | | | | Den norske Creditbank, Norway |
| | | | 2. The arrangement fee of US$3,000 payable by White Tanker Pte. Ltd. to Den norske Creditbank, Norway under the Facility Letter dated 30th June 1989 shall also be exempt from income tax. |
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| 1. The swap payments made by SAL Industrial Leasing Private Limited to the Development Bank of Singapore Limited, Tokyo, Japan under the Interest Rate Swap Agreement dated 19th June 1990 shall be exempt from income tax. |
2. The management fee of US$12,500 payable by SAL Industrial Leasing Private Limited to Mitsui Leasing & Development, Ltd., Japan under the Instalment Sale Agreement dated 19th June 1990 shall also be exempt from income tax. |
| | | 1. The swap payments made by Chartered Electronics Industries Pte. Ltd. to the Development Bank of Singapore Limited, Tokyo, Japan under the Interest Rate Swap Agreement dated 19th June 1990 shall be exempt from income tax. |
2. The management fee of US$6,250 payable by Chartered Electronics Industries Pte. Ltd. to Mitsui Leasing & Development, Ltd., Japan under the Instalment Sale Agreement dated 19th June 1990 shall also be exempt from income tax. |
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| 90% of the gross interest payable by Singapore Airlines Limited to the companies set out in the first column of the Schedule for the aircraft specified in the second column under the agreements made on the dates set out in the third column shall be exempt from income tax. |
| | | | | | | | | | | | | | | | Orix Aircraft Corporation, Japan |
Mandai Hyakkaten Co., Ltd., Japan |
Fuji Fur & Leather Co., Ltd., Japan |
Miyoshi Industry Co., Ltd., Japan |
Chigusa Sogyo Co., Ltd., Japan |
| B747-412 Aircraft Singapore Registration Mark 9V SMA Manufacturer’s Serial No. 24061 |
| | | | Ascent Leasing International Co., Ltd., Japan |
| B747-412 Aircraft Singapore Registration Mark 9V SMB Manufacturer’s Serial No. 24062 |
| | | | STL Aerospace Co., Ltd., Japan |
| B747-412 Aircraft Singapore Registration Mark 9V SMC Manufacturer’s Serial No. 24063 |
| | | | CLS Aquarious Leasing Inc., Japan |
CLS Scorpio Leasing Inc., Japan |
| B747-412 Aircraft Singapore Registration Mark 9V SMD Manufacturer’s Serial No. 24064 |
| | | | CLS Gemini Leasing Inc., Japan |
CLS Herios Leasing Inc., Japan |
| B747-412 Aircraft Singapore Registration Mark 9V SME Manufacturer’s Serial No. 24065 |
| | | | J. L. Trition Lease Co., Ltd., Japan |
| B747-412 Aircraft Singapore Registration Mark 9V SME Manufacturer’s Serial No. 24066 |
| | | | STL Aviation Co., Ltd., Japan |
| A310-300 Aircraft Singapore Registration Mark 9V STQ Manufacturer’s Serial No. 493 |
| | | | CLS Leasing No. 1 Inc., Japan |
| A310-300 Aircraft Singapore Registration Mark 9V STR Manufacturer’s Serial No. 500 |
| | | | | A310-300 Aircraft Singapore Registration Mark 9V STS Manufacturer’s Serial No. 501 |
| | | | J L Starlight Lease Co., Ltd., Japan |
| A310-300 Aircraft Singapore Registration Mark 9V STT Manufacturer’s Serial No. 534 |
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| SBF South Air Co., Ltd., Japan |
Orchid Aerospace Co., Ltd., Japan |
Lion City Management Corporation, Japan |
Gyosei Corporation, Japan |
| B747-412 Aircraft Singapore Registration Mark 9V SMG Manufacturer’s Serial No. 24226 |
| | | Merlion Aerospace Co., Ltd., Japan |
Shenton Aerospace Co., Ltd., Japan |
| A310-300 Aircraft Singapore Registration Mark 9V STU Manufacturer’s Serial No. 548 |
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| The interest payable by Belships (Far East) Shipping (Pte.) Ltd. to Kambara Kisen Co. Ltd., Japan under — |
(a) | the agreement dated 8th February 1984 in respect of the vessel “Belwood” shall be deemed to have ceased to be exempt from income tax, with effect from 6th December 1989; |
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(b) | the agreement dated 8th February 1984 in respect of the vessel “Belforest” shall be deemed to have ceased to be exempt from income tax, with effect from 20th January 1990; and |
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(c) | the agreement dated 8th February 1984 in respect of the vessel “Beltimber” shall be deemed to have ceased to be exempt from income tax, with effect from 5th February 1990. |
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| | | There shall be exempt from tax interest received from the U.S.$40 million Guaranteed Floating/Fixed Rate Notes due 1998 issued by Sanwa Singapore Limited on 18th May 1990 by — |
(a) | any non-resident individual; and |
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(b) | any person, other than an individual, if that person is neither a resident of nor a permanent establishment in Singapore. |
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| | | The licence fee of US$1,021,266 payable by Singapore Airlines Limited to the Roach Organization, Inc., USA under the Licence Agreement dated 31st October 1990 for a personal, non-transferable, non-exclusive, perpetual, paid-up and worldwide licence to use the 747-400 Pilot Transition Training Program Software shall be exempt from income tax. |
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