Explanation of Proposed Income Tax Treaty and Proposed Protocol Between the United States and Kazakhstan: Scheduled for a Hearing Before the Committee on Foreign Relations, United States Senate, on May 25, 1995
U.S. Government Printing Office, Jan 1, 1995 - Double taxation - 28 pages
What people are saying - Write a review
We haven't found any reviews in the usual places.
Other editions - View all
agreement Almaty anti-treaty anti-treaty-shopping applied branch proﬁts tax business proﬁts Cong coun country Article deductions deﬁnition dividends double taxation effectively connected establishment or ﬁxed exempt ﬁrst country ﬁxed base foreign corporation foreign source income foreign tax credit GATS income tax treaties interest paid internal law investment Kazakh tax laws of Kazakhstan nonresident alien OECD model treaties passive income payments percent permanent establishment posed treaty proposed protocol provides proposed treaty contains proposed treaty provides real property recent U.S. treaties residence country royalties rules Russian Federation Sess signiﬁcant similar source country taxation speciﬁc Staff understand tax laws tax system taxing jurisdiction third-country tion Trade in Services trade or business Treasury Department treaty beneﬁts treaty country Treaty Doc treaty partners treaty shopping treaty’s U.S. corporation U.S. foreign tax U.S. income tax U.S. model treaty U.S. person U.S. source income U.S. tax treaties U.S. trade U.S. Treasury Department USSR treaty withholding tax