Tag: International Taxation
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26-U.S.C.-1464
26-U.S.C.-1464 §1464 – Refunds and Credits With Respect to Withheld Tax Pathway Title 26 > Subtitle A > Chapter 3 > Subchapter B > Section 1464 Details Reference: Section 1464 Legend: §1464 – Refunds and Credits With Respect to Withheld Tax USCode Year: 2013 Provision Content Where there has been an overpayment of tax under this chapter, any refund or credit made under…
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26-U.S.C.-1442
26-U.S.C.-1442 §1442 – Withholding of Tax On Foreign Corporations Pathway Title 26 > Subtitle A > Chapter 3 > Subchapter A > Section 1442 Details Reference: Section 1442 Legend: §1442 – Withholding of Tax On Foreign Corporations USCode Year: 2013 Provision Content (a) General rule In the case of foreign corporations subject to taxation under this subtitle, there shall be deducted and withheld…
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26-U.S.C.-1442
26-U.S.C.-1442 §1442 – Withholding of Tax On Foreign Corporations Pathway Title 26 > Subtitle A > Chapter 3 > Subchapter A > Section 1442 Details Reference: Section 1442 Legend: §1442 – Withholding of Tax On Foreign Corporations USCode Year: 2013 Provision Content (a) General rule In the case of foreign corporations subject to taxation under this subtitle, there shall be deducted and withheld…
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26-U.S.C.-1443
26-U.S.C.-1443 §1443 – Foreign Tax-Exempt Organizations Pathway Title 26 > Subtitle A > Chapter 3 > Subchapter A > Section 1443 Details Reference: Section 1443 Legend: §1443 – Foreign Tax-Exempt Organizations USCode Year: 2013 Provision Content (a) Income subject to section 511 In the case of income of a foreign organization subject to the tax imposed by section 511, this chapter shall apply…
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26-U.S.C.-1443
26-U.S.C.-1443 §1443 – Foreign Tax-Exempt Organizations Pathway Title 26 > Subtitle A > Chapter 3 > Subchapter A > Section 1443 Details Reference: Section 1443 Legend: §1443 – Foreign Tax-Exempt Organizations USCode Year: 2013 Provision Content (a) Income subject to section 511 In the case of income of a foreign organization subject to the tax imposed by section 511, this chapter shall apply…