Explanation of proposed income tax treaty and proposed protocol between the United States and the Republic of Venezuela: scheduled for a hearing before the Committee on Foreign Relations, United States Senate, on October 13, 1999
U.S. Government Printing Office, 1999 - Business & Economics - 62 pages
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OVERVIEW OF U S TAXATION OF INTERNATIONAL TRADE AND INVESTMENT AND U S TAX TREATIES
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activities attributable beneficial owner competent authority constitute a permanent coun country of residence country tax deductions dent dividends paid domestic laws double taxation effectively connected enterprise entity establishment or fixed expenses ezuelan fixed base foreign corporation foreign tax credit host country immovable property real income derived income tax treaties independent personal services international traffic investor items of income ment ness nonresident alien OECD models payments pension percent permanent establishment posed treaty property real property proposed protocol provides proposed treaty contains Proposed treaty limitations proposed treaty provides REIT REMIC resi residence country resident of Venezuela respect royalties saving clause ships or aircraft sound reproduction source country source-country tax tax laws Technical Explanation term tion trade or business treaty benefits treaty country treaty's U.S. citizen U.S. corporation U.S. income tax U.S. law U.S. model U.S. person U.S. resident U.S. tax treaties U.S. trade U.S. treaties U.S.-source income Venezuelan tax