Question: What does one mean by the residence principle and the source principle? What do these principles imply for the taxation of income on (a) Pure

What does one mean by the residence principle and the source principle? What do these principles imply for the taxation of income on
(a) Pure (direct) exports?
(b) Exports through a dependent agent?
(c) Exports through a branch/PE?
(d) Foreign activities through a subsidiary?

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