S. 90 :Double taxation relief – Foreign Tax Credit – One has to take a judicious call as to whether the view adopted by the source jurisdiction of taxing the income is a reasonable and bonafide view, which may or may not be the same as the legal position in the residence jurisdiction- The view of the treaty partner should be adopted unless it is wholly unreasonable or manifestly erroneous- Entitle for Foreign Tax Credit -. DTAA -India -Japan [ Art 12 , 22 ]