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" Enterprises of a Contracting State, the capital of which is wholly or partly owned or controlled, directly or indirectly, by one or more... "
Reports of the Tax Court of the United States - 23. lappuse
autors: United States. Tax Court - 2001
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Internal Revenue Bulletin: Cumulative bulletin, 2. izdevums

United States. Internal Revenue Service - 1968 - 1034 lapas
...the income of a permanent establishment maintained by a resident of France in the United States. <3) A corporation of a Contracting State, the capital...not be subjected in the first-mentioned Contracting Htate to any taxation or any requirement connected therewith which is other or more burdensome than...
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Statutory Instruments, 2. daļa

Great Britain - 1963 - 1438 lapas
...Contracting State carrying on the same activities. (3) Enterprises of one of the Contracting States, the capital of which is wholly or partly owned or...controlled, directly or indirectly, by one or more residents or corporations of the other Contracting State, shall not be subjected in the former Contracting State...
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Model tax conventions

United States. Congress. Joint Committee on Internal Revenue Taxation - 1962 - 724 lapas
...account ofcivil status or family responsibilities which it grants to its own residents. 5. Enterprises of a Contracting State, the capital of which is wholly...first-mentioned Contracting State to any taxation or any requirement connected therewith which is other or more burdensome than the taxation and connected requirements...
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Internal Revenue Cumulative Bulletin, 2. izdevums

United States. Internal Revenue Service - 1979 - 644 lapas
...individual residents. Paragraph (3) prohibits one Contracting State from subjecting a corporation of such Contracting State, the capital of which is wholly...one or more residents of the other Contracting State to any taxation or any requirement connected with taxation which is other or more burdensome than those...
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Internal Revenue Cumulative Bulletin

United States. Internal Revenue Service - 1977
...the same activities. Paragraph (3) prohibits one Contracting State from subjecting a company of such Contracting State the capital of which is wholly or...one or more residents of the other Contracting State to any taxation or any requirement connected with taxation which is other or more burdensome than those...
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Internal Revenue Cumulative Bulletin, 2. izdevums

United States. Internal Revenue Service - 1972 - 624 lapas
...Contracting States, the capital of which is wholly or partly owned by one or more nationals or corporations of the other Contracting State, shall not be subjected in the first-mentioned Contracting State to more burdensone taxes than is a corporation of that Contracting State. ARTICLE 7 * TAX DEFERRAL FOR...
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Internal Revenue Cumulative Bulletin

United States. Internal Revenue Service - 1976 - 624 lapas
...individual residents. Paragraph (3) prohibits one Contracting State from subjecting a corporation of such Contracting State, the capital of which is wholly or partly owned or controlled, directly or inrectly, by one or more residents of the other Contracting State to any taxation or any requirement...
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Tax Treaties: Hearing Before the Committee on Foreign Relations, United ...

United States. Congress. Senate. Committee on Foreign Relations - 1982 - 532 lapas
...to which are subjected other similar companies which are residents of that State but whose capital is wholly or partly owned or controlled, directly or indirectly, by one or more residents of a third State. Paragraph 6 protects against discrimination in the case of a permanent establishment...
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United States Congressional Serial Set

1987 - 948 lapas
...same conditions as if they had been paid to a resident of the first-mentioned State. 4. Enterprises of a Contracting State, the capital of which is wholly...State, shall not be subjected in the first-mentioned State to any taxation or any requirement connected therewith which is other or more burdensome than...
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Explanation of Proposed Income Tax Treaty (and Proposed Protocol) Between ...

1983 - 52 lapas
...owned in whole or in part by residents of the other country. An enterprise resident in one country, the capital of which is wholly or partly owned or...indirectly, by one or more residents of the other country, would not be subjected in the country of its residence to any taxation or any directly connected...
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