International Double Taxation: Hearings, Seventy-first Congress, Second Session on H.R. 10165, February 28 and March 1, 1930U.S. Government Printing Office, 1930 - 50 lappuses |
No grāmatas satura
1.–5. rezultāts no 14.
6. lappuse
... apply these principles uniformly to the taxation of their nationals providing they will apply the same prin- ciples to the taxation of American citizens in their respective juris- dictions . While there are some obvious advantages in ...
... apply these principles uniformly to the taxation of their nationals providing they will apply the same prin- ciples to the taxation of American citizens in their respective juris- dictions . While there are some obvious advantages in ...
7. lappuse
... run . The machinery for bringing the proposed régime into effect is very simple . It consists in extending the application of the principle of reciprocal exemption , now observed in the case of shipping INTERNATIONAL DOUBLE TAXATION 7.
... run . The machinery for bringing the proposed régime into effect is very simple . It consists in extending the application of the principle of reciprocal exemption , now observed in the case of shipping INTERNATIONAL DOUBLE TAXATION 7.
10. lappuse
... applying to this country that would depend upon legislation of this country so that the committee may consider the question whether or not they would reciprocate that legislation ; because , as I under- stand it , various and sundry ...
... applying to this country that would depend upon legislation of this country so that the committee may consider the question whether or not they would reciprocate that legislation ; because , as I under- stand it , various and sundry ...
11. lappuse
... application of those principles . Now , you say that is not the historic American position . I maintain that is precisely what it is . The question has not arisen hitherto in the field of taxation , because international taxation was ...
... application of those principles . Now , you say that is not the historic American position . I maintain that is precisely what it is . The question has not arisen hitherto in the field of taxation , because international taxation was ...
12. lappuse
... applying differ- ent rates to goods of different countries ; whereas , with one or two possible exceptions , my recollection is that the United States has always made the same offer to the entire world rather than to enter upon a series ...
... applying differ- ent rates to goods of different countries ; whereas , with one or two possible exceptions , my recollection is that the United States has always made the same offer to the entire world rather than to enter upon a series ...
Citi izdevumi - Skatīt visu
Bieži izmantoti vārdi un frāzes
20 per cent administrative agreement ALVORD American citizen American corporation American tax BACHARACH bill Britain British bonds center of management CHAIRMAN CHINDBLOM committee conference Congress CRISP deduction dividend tax dividends derived Doctor ADAMS dollar enact England equivalent exemption ESTEP exempt from taxation FEBRUARY 28 foreign corporations foreign country grants foreign taxes France FREAR GARNER going Government grants an equivalent gross income imposed income derived income tax individual instance interest and dividends Internal Revenue international double taxation investments abroad items of income League of Nations legislation matter mean ment MILLS model treaty nonresident alien normal tax permanent establishment permanent residence present principle proposed question RAMSEYER rates Ray Hall received reciprocal arrangements reciprocal exemption residence abroad revenue act Secretary MELLON shipping profits situation statement Suppose surtax Switzerland tax laws tax residence taxes paid taxpayer thing tion to-day Treasury Department United WATSON withholding
Populāri fragmenti
7. lappuse - The income of a nonresident alien individual which consists exclusively of earnings derived from the operation of a ship or ships documented under the laws of a foreign country which grants an equivalent exemption to citizens of the United States and to corporations organized in the United States, shall not be included in gross income and shall be exempt from taxation under this title.
7. lappuse - States as consists of earnings derived from the operation of a ship or ships documented under the laws of a foreign country which grants an equivalent exemption to citizens of the United States nonresident in such foreign country and to corporations organized in the United States, shall not be included in gross income.
27. lappuse - Parties with respect to the interpretation or application of the provisions of the present Convention shall be subject to negotiation between the Parties involved in the dispute. 2. If the dispute cannot be resolved in accordance with paragraph 1 of this Article, the Parties may, by mutual consent, submit the dispute to arbitration...
17. lappuse - States by such a corporation or such a citizen, or by a corporation created or organized in, or under the law of, a possession of the United States...
27. lappuse - Income from any industrial, commercial, or agricultural undertaking, and from any other trades or professions not referred to in paragraph D, shall be taxable in the State in which a permanent establishment is situated. The real centers of management, branches, mining and oil-fields, factories, workshops, agencies, warehouses, offices, depots, shall be regarded as permanent establishments.
27. lappuse - ... before resorting to any arbitral or judicial procedure, submit the dispute, with a view to an amicable settlement, to such technical body as the Council of the League of Nations may appoint for this purpose. This body will give an advisory opinion after hearing the parties...