TAX 9869 Lecture Notes - Lecture 38: Withholding Tax

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17 Jul 2020
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Recap: fidap income, withholding tax, portfolio interest exceptions, Potentially have diff sets of rules to deal with. Discuss: is someone engaged in a us trade/biz. Even if you are, doesn"t mean automatically subject to us tax on that income. You have to have effectively connected income for that us trade/biz (eci). If so, subject to us taxation on that income. You could have effectively connected loss- file us tax returns for the loss. There is no clear definition/exact situation in rules that tell you if so. The way to think about it: us trade/biz will generally be by progression, continuity, sustained activity. When activity is of that nature during substantial portion of taxable year= us trade/biz. Revenue ruling: a dude enters horse in 1 race. In order for trade/biz to exist in us, the foreign person has to have its core activities- the activities used to derive profit of that biz- are conducted in the.

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