Explanation of Proposed Income Tax Treaty and Proposed Protocol Between the United States and the Kingdom of the Netherlands: Scheduled for a Hearing Before the Committee on Foreign Relations, United States Senate, on October 27, 1993U.S. Government Printing Office, 1993 - 137 lappuses |
No grāmatas satura
1.–5. rezultāts no 42.
. lappuse
... Income Article 24. Basis of Taxation 88888 80 81 82 83 83 Article 25. Methods of Elimination of Double Tax- ation 87 Article 26. Limitation on Benefits 95 Article 27. Offshore Activities 114 Page Article 28. Non - Discrimination _ ...
... Income Article 24. Basis of Taxation 88888 80 81 82 83 83 Article 25. Methods of Elimination of Double Tax- ation 87 Article 26. Limitation on Benefits 95 Article 27. Offshore Activities 114 Page Article 28. Non - Discrimination _ ...
. lappuse
... Taxation ....... 132 Article 4. Methods of Elimination of Double Tax- ation 132 Article 5. Limitation of Benefits 133 Article 6. Exempt Pension Trusts ....... 133 Article 7. Entry Into Force 134 Exchange of Notes ...... 134 INTRODUCTION ...
... Taxation ....... 132 Article 4. Methods of Elimination of Double Tax- ation 132 Article 5. Limitation of Benefits 133 Article 6. Exempt Pension Trusts ....... 133 Article 7. Entry Into Force 134 Exchange of Notes ...... 134 INTRODUCTION ...
2. lappuse
... treaty to tax income derived by residents of the other country , the treaty generally provides for the relief from the poten- tial double taxation by allowing a foreign tax credit in the country of residence , or , in the case where the ...
... treaty to tax income derived by residents of the other country , the treaty generally provides for the relief from the poten- tial double taxation by allowing a foreign tax credit in the country of residence , or , in the case where the ...
10. lappuse
... tax , as well as limiting the portion of the gain subject to U.S. tax . ( 37 ) The proposed treaty replaces the double taxation article of the present treaty with a provision that , like the present treaty as applied , generally is ...
... tax , as well as limiting the portion of the gain subject to U.S. tax . ( 37 ) The proposed treaty replaces the double taxation article of the present treaty with a provision that , like the present treaty as applied , generally is ...
11. lappuse
... tax that would be permitted by the treaty ( were the Dutch resident not à U.S. citizen ) . The United States , in turn , is required to provide a credit for the Dutch tax , and to resource the income if necessary to avoid double taxation ...
... tax that would be permitted by the treaty ( were the Dutch resident not à U.S. citizen ) . The United States , in turn , is required to provide a credit for the Dutch tax , and to resource the income if necessary to avoid double taxation ...
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alienation amount apply attributable beleggingsinstelling branch profits tax branch tax business profits competent authorities coun country of residence deductible dividend tax double taxation Dutch company Dutch corporation Dutch law Dutch resident Dutch tax earned effectively connected entity establishment or fixed exchange excise tax exemption FIRPTA fixed base foreign corporation foreign person foreign tax credit gain headquarters company income tax treaty independent personal services internal law limitation on benefits Netherlands nonresident nonresident alien payments posed treaty present treaty profit share proposed protocol proposed treaty contains proposed treaty provides purposes reinsurance resi residence country royalties rules source country tax staff understands subject to U.S. tax avoidance taxable taxpayer third country tion trade or business trea treaty benefits treaty country resident U.S. citizens U.S. corporation U.S. income tax U.S. law U.S. model treaty U.S. person U.S. real property U.S. resident U.S. source income U.S. trade U.S. treaties United withholding tax