Sale or Exchange of U.S Real Property Interests

eBook (PDF), 4 Pages
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Gains and losses from the sale or other disposition of a U.S.real property interest (USRPI) by a nonresident alien are taxed as income effectively connected with a or business, even if the foreign citizen has never been in the United States. Generally, a domestic corporation will be considered a U.S. real property holding corporation if the fair market value of its USRPIs equals or exceeds 50 percent of the sum of its worldwide real property assets and any other assets used in its trade or business.
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Product Details

March 8, 2013
File Format
File Size
377.37 KB

Formats for this Ebook

Required Software Any PDF Reader, Apple Preview
Supported Devices Windows PC/PocketPC, Mac OS, Linux OS, Apple iPhone/iPod Touch... (See More)
# of Devices Unlimited
Flowing Text / Pages Pages
Printable? Yes
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