3. The United Kingdom Government shall continue to provide, as is currently the case, the stocks and liquidity necessary to finance the sales contracts in progress at that date. If the question arises as to whether a case is a pending case, it is referred to Wylie J.1, whose decision is final. (4) The two governments are understood that the issue of double income tax is generally settled on the basis of place of residence, as defined in the regime already provisionally agreed between the financial services of the two governments. The two governments agree to promote all necessary legislative provisions to this effect, which will come into force from the beginning of the 1926-27 fiscal year. (12) For the purposes of previous agreements concluded between the two Governments, this Agreement is considered to be the definitive financial arrangement provided for there in this Agreement. . . .
Ultimate Financial Agreement
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