U.S. Income Tax Treaties
The following articles by 乐鱼(Leyu)体育官网 Tax professionals were published by Tax Analysts in聽Tax News International. The articles provide flowcharts to assist practitioners in determining a company's eligibility for treaty benefits under the limitation on benefits provisions of the specific U.S. income tax treaties and, where applicable, in determining eligibility for a 0 percent withholding tax rate on cross-border intercompany dividend payments to the company.