Explanation of Proposed Income Tax Treaty (and Proposed Protocol) Between the United States and Mexico: Scheduled for a Hearing Before the Committee on Foreign Relations, United States Senate, on October 27, 1993U.S. Government Printing Office, 1993 - 104 lappuses |
No grāmatas satura
1.–5. rezultāts no 81.
. lappuse
... U.S. TAX TREATIES A. United States Tax Rules ....... B. United States Tax Treaties - In General IV . EXPLANATION OF ... Residence Article 5. Permanent Establishment ...... Article 6. Income from Immovable Property ( Real Property ) ...
... U.S. TAX TREATIES A. United States Tax Rules ....... B. United States Tax Treaties - In General IV . EXPLANATION OF ... Residence Article 5. Permanent Establishment ...... Article 6. Income from Immovable Property ( Real Property ) ...
2. lappuse
... United States and Mexico are to reduce or eliminate double taxation of income earned ... U.S. tax treaties , these objectives are principally achieved by each ... resident of either country from sources within the other country generally ...
... United States and Mexico are to reduce or eliminate double taxation of income earned ... U.S. tax treaties , these objectives are principally achieved by each ... resident of either country from sources within the other country generally ...
3. lappuse
... U.S. income tax treaties and from the U.S. model and OECD model treaties . Some of these differences are as follows ... resident of that country . The proposed treaty and protocol , by con- trast , provides that Mexico would consider a U.S. ...
... U.S. income tax treaties and from the U.S. model and OECD model treaties . Some of these differences are as follows ... resident of that country . The proposed treaty and protocol , by con- trast , provides that Mexico would consider a U.S. ...
4. lappuse
... U.S. model provides for competent author- ity determination ( on the basis of mutual agreement ) on the mode of application of the treaty to a person other than an individual or a company that is a dual resident ... United States nor Mexico ...
... U.S. model provides for competent author- ity determination ( on the basis of mutual agreement ) on the mode of application of the treaty to a person other than an individual or a company that is a dual resident ... United States nor Mexico ...
5. lappuse
... U.S. model because the United States does not impose a tax based on assets . Under the proposed protocol , the Mexican assets tax generally would not apply to a U.S. resident that , pursuant to Article 7 ( Business Profits ) of the ...
... U.S. model because the United States does not impose a tax based on assets . Under the proposed protocol , the Mexican assets tax generally would not apply to a U.S. resident that , pursuant to Article 7 ( Business Profits ) of the ...
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alimony amount apply assets tax attributable branch profits tax business profits charitable organization competent authority coun country of residence deductions dividends paid double taxation earned effectively connected enterprise entity establishment or fixed excise tax exemption fixed base foreign corporation foreign source income foreign tax credit immovable property income tax treaties interest paid limitation Mexican law Mexican resident NAFTA nonresident alien OECD model treaties payments payor percent permanent establishment permit posed treaty proposed protocol paragraph proposed treaty contains proposed treaty provides purposes real property reinsurance REMIC resident of Mexico respect royalties rules saving clause similar source country tax subject to U.S. Tax Law taxable taxes imposed Technical Explanation TIEA tion trade or business trea treaty benefits treaty country treaty's U.S. branch U.S. citizen U.S. corporation U.S. income tax U.S. law U.S. model treaty U.S. person U.S. resident U.S. source income U.S. tax treaties U.S. trade U.S. treaty United withholding tax