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 7.
. lappuse
... Alimony , and Child Support ....... 84 Article 20. Government Service 85 Article 21. Students ...... 86 Article 22. Exempt Organizations ...... 87 Article 23. Other Income 90 Article 24. Relief from Double Taxation Article 25. Non ...
... Alimony , and Child Support ....... 84 Article 20. Government Service 85 Article 21. Students ...... 86 Article 22. Exempt Organizations ...... 87 Article 23. Other Income 90 Article 24. Relief from Double Taxation Article 25. Non ...
12. lappuse
... alimony payments . Under the U.S. model , on the one hand , alimony is taxable only in the country where the recipient resides . Under the proposed treaty , on the other hand , alimony would be taxable only in the source country ( i.e. ...
... alimony payments . Under the U.S. model , on the one hand , alimony is taxable only in the country where the recipient resides . Under the proposed treaty , on the other hand , alimony would be taxable only in the source country ( i.e. ...
40. lappuse
... alimony and child support payments ( Article 19 , paragraph 3 ) ; allowance of deductions for contributions paid by U.S. residents to certain charitable organizations located in Mexico ( Article 22 , paragraph 2 ) ; relief from double ...
... alimony and child support payments ( Article 19 , paragraph 3 ) ; allowance of deductions for contributions paid by U.S. residents to certain charitable organizations located in Mexico ( Article 22 , paragraph 2 ) ; relief from double ...
78. lappuse
... alimony , and child support ( Article 19 ) , 75 The United States would apply Article 7 ( Business profits ) to the service income earned by a Mexican company . 76 If a treaty country resident receives income for independent activities ...
... alimony , and child support ( Article 19 ) , 75 The United States would apply Article 7 ( Business profits ) to the service income earned by a Mexican company . 76 If a treaty country resident receives income for independent activities ...
84. lappuse
... Alimony , and Child Support Under the proposed treaty , pensions and other similar remunera- tion derived and beneficially owned by a resident of either country in consideration of past employment by that person ( or by another ...
... Alimony , and Child Support Under the proposed treaty , pensions and other similar remunera- tion derived and beneficially owned by a resident of either country in consideration of past employment by that person ( or by another ...
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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