Explanation of Proposed Income Tax Treaty (and Proposed Protocol) Between the United States and the Russian Federation: Scheduled for a Hearing Before the Committee on Foreign Relations, United States Senate, on October 27, 1993U.S. Government Printing Office, 1993 - 60 lappuses |
No grāmatas satura
1.–5. rezultāts no 27.
. lappuse
... Permanent Establishment Article 6. Business Profits Article 7. Adjustments to Income in Cases Where 16 16 19 1 2 222272 22 23 24 25 28 Persons Participate , Directly or Indirectly , in the Management Control or Capital of Other Persons ...
... Permanent Establishment Article 6. Business Profits Article 7. Adjustments to Income in Cases Where 16 16 19 1 2 222272 22 23 24 25 28 Persons Participate , Directly or Indirectly , in the Management Control or Capital of Other Persons ...
2. lappuse
... permanent establishment or fixed base ( Ar- ticles 7 and 13 ) . Similarly , the treaty contains the standard " com- mercial visitor " exemptions under which residents of one country performing personal services in the other will not be ...
... permanent establishment or fixed base ( Ar- ticles 7 and 13 ) . Similarly , the treaty contains the standard " com- mercial visitor " exemptions under which residents of one country performing personal services in the other will not be ...
3. lappuse
... provides that the company shall be treated as a resident of neither country for purposes of enjoying treaty ben- efits , and hence is entitled to no treaty benefits . ( 7 ) The proposed treaty introduces the permanent establishment 3.
... provides that the company shall be treated as a resident of neither country for purposes of enjoying treaty ben- efits , and hence is entitled to no treaty benefits . ( 7 ) The proposed treaty introduces the permanent establishment 3.
4. lappuse
... permanent establishment threshold for one country's imposition of tax on the business profits of a resident of the other country , in conformity with the U.S. and OECD model treaties . This replaces the concept of a " representa- tion ...
... permanent establishment threshold for one country's imposition of tax on the business profits of a resident of the other country , in conformity with the U.S. and OECD model treaties . This replaces the concept of a " representa- tion ...
7. lappuse
... permanent establishment or fixed base in the first country . The Treasury Department has indicated that this permits the taxation of gains from the alienation of a permanent establishment or fixed base , or gains from the alienation of ...
... permanent establishment or fixed base in the first country . The Treasury Department has indicated that this permits the taxation of gains from the alienation of a permanent establishment or fixed base , or gains from the alienation of ...
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Bieži izmantoti vārdi un frāzes
activities alternative minimum tax amount attributable branch profits tax competent authority coun country of residence dends derived dividends dividends paid double taxation effectively connected entity erally establishment or fixed fixed base foreign corporation foreign person foreign source income foreign tax credit gains income tax treaties independent personal services interest paid internal law international traffic investment investor ment nonresident alien OECD model treaties passive income payments percent permanent establishment portfolio posed treaty proposed protocol proposed treaty contains proposed treaty provides purposes recent U.S. REMIC resi restriction royalties rules Russian Federation Russian resident Russian tax saving clause second country similar source country taxation taxable taxes imposed taxing jurisdiction taxpayers third country tion trade or business trea treaty benefits U.S. and OECD U.S. citizens 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 United USSR treaty withholding tax
Populāri fragmenti
14. lappuse - Commissioner is authorized to distribute, apportion, or allocate gross income, deductions, credits, or allowances between or among such organizations, trades, or businesses, if he determines that such distribution, apportionment, or allocation is necessary in order to prevent evasion of taxes or clearly to reflect the income of any of such organizations, trades, or businesses.
37. lappuse - dividends" as used in this Article means income from shares or other rights, not being debt-claims, participating in profits, as well as income from other corporate rights which is subjected to the same taxation...
57. lappuse - Enterprises of a Contracting State, the capital of which is wholly or partly owned or controlled, directly or indirectly, by one or more...
58. lappuse - State and shall be disclosed only to persons or authorities (including courts and administrative bodies) involved in the assessment or collection of, the enforcement or prosecution in respect of, or the determination of appeals in relation to, the taxes covered by the Convention. Such persons or authorities shall use the information only for such purposes. They may disclose the information in public court proceedings or in judicial decisions.
35. lappuse - ... income that is treated as effectively connected with the conduct of a US trade or business. The...
59. lappuse - State; c) to supply information which would disclose any trade, business, industrial, commercial or professional secret or trade process, or information, the disclosure of which would be contrary to public policy (ordre public).
15. lappuse - Hearings Before the Subcommittee on Oversight of the House Committee on Ways and Means, 101st Cong., 2d Sess.
42. lappuse - royalties" as used in this Article means payments of any kind received as a consideration for the use of, or the right to use, any copyright of literary, artistic or scientific work including...
25. lappuse - But this term does not include any person who is liable to tax in that State in respect only of income from sources in that State or capital situated therein.
26. lappuse - State in which he has his centre of vital interests cannot be determined, or if he...