Department of the Treasury Technical Explanation of the Protocol Signed at Helsinki on May 31, 2006

Department of the Treasury Technical Explanation of the Protocol Signed at Helsinki on May 31, 2006
Author: U. S. U.S. Government
Publisher: CreateSpace
Total Pages: 40
Release: 2015-01-02
Genre:
ISBN: 9781505682564

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This is a technical explanation of the Protocol signed at Washington on May 31, 2006 (the "Protocol"), amending the Convention between the United States of America and the Government of Finland for the avoidance of double taxation and the prevention of fiscal evasion with respect to taxes on income, signed at Helsinki on September 21, 1989 (the "Convention"). Negotiations took into account the U.S. Department of the Treasury's current tax treaty policy and Treasury's Model Income Tax Convention, published on September 20, 1996 (the "U.S. Model"). Negotiations also took into account the Model Tax Convention on Income and on Capital, published by the Organization for Economic Cooperation and Development (the "OECD Model"), and recent tax treaties concluded by both countries.

Finland

Finland
Author: U. S. Department U.S. Department of the Treasury
Publisher: CreateSpace
Total Pages: 38
Release: 2014-11-07
Genre:
ISBN: 9781503127388

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This is a technical explanation of the Protocol signed at Washington on May 31, 2006 (the "Protocol"), amending the Convention between the United States of America and the Government of Finland for the avoidance of double taxation and the prevention of fiscal evasion with respect to taxes on income, signed at Helsinki on September 21, 1989 (the "Convention"). Negotiations took into account the U.S. Department of the Treasury's current tax treaty policy and Treasury's Model Income Tax Convention, published on September 20, 1996 (the "U.S. Model"). Negotiations also took into account the Model Tax Convention on Income and on Capital, published by the Organization for Economic Cooperation and Development (the "OECD Model"), and recent tax treaties concluded by both countries. This Technical Explanation is an official guide to the Protocol. It explains policies behind particular provisions, as well as understandings reached during the negotiations with respect to the interpretation and application of the Protocol. This technical explanation is not intended to provide a complete guide to the Convention as amended by the Protocol. To the extent that the Convention has not been amended by the Protocol, the Technical Explanation of the Convention remains the official explanation. References in this technical explanation to "he" or "his" should be read to mean "he or she" or "his or her."

Department of the Treasury Technical Explanation of the Protocol Between the United States of America and New Zealand

Department of the Treasury Technical Explanation of the Protocol Between the United States of America and New Zealand
Author: United States United States Government
Publisher: CreateSpace
Total Pages: 54
Release: 2015-01-02
Genre:
ISBN: 9781505692266

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This is a technical explanation of the Protocol between the United States and New Zealand signed at Washington on December 1, 2008 (the "Protocol") amending the Convention and Protocol between the United States and New Zealand for the Avoidance of Double Taxation and the Prevention of Fiscal Evasion with Respect to Taxes on Income signed at Wellington on July 23, 1982 (the "existing Convention").

Department of the Treasury Technical Explanation of the Convention Between the Government of the United States of America and the Government of the Kingdom of Denmark

Department of the Treasury Technical Explanation of the Convention Between the Government of the United States of America and the Government of the Kingdom of Denmark
Author: U. S. U.S. Government
Publisher: Createspace Independent Publishing Platform
Total Pages: 104
Release: 2015-01-02
Genre:
ISBN: 9781505682489

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This is a Technical Explanation of the Convention and Protocol between the United States and Denmark signed at Washington on August 19, 1999 (the "Convention" and "Protocol"). References are made to the Convention between the United States and Denmark for the Avoidance of Double Taxation and the Prevention of Fiscal Evasion with Respect to Taxes on Income signed at Washington, D.C., on May 6, 1948 (the "prior Convention"). The Convention replaces the prior Convention. Negotiations took into account the U.S. Treasury Department's current tax treaty policy, as reflected in the U.S. Treasury Department's Model Income Tax Convention of September 20, 1996 (the "U.S. Model") and its recently negotiated tax treaties, the Model Income Tax Convention on Income and on Capital, published by the OECD in 1992 and amended in 1994, 1995 and 1997 (the "OECD Model"), and recent tax treaties concluded by Denmark.

Department of the Treasury Technical Explanation of the Convention Between the Government of the United States of America and the Government of the Republic of Chile

Department of the Treasury Technical Explanation of the Convention Between the Government of the United States of America and the Government of the Republic of Chile
Author: United States United States Government
Publisher: CreateSpace
Total Pages: 106
Release: 2015-01-02
Genre:
ISBN: 9781505456929

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This is a Technical Explanation of the Convention between the Government of the United States and the Government of the Republic of Chile for the Avoidance of Double Taxation and the Prevention of Fiscal Evasion with Respect to Taxes on Income and Capital, signed on February 4, 2010 (the "Convention") as well as an amending Protocol signed the same day (the "Protocol").

Department of the Treasury Technical Explanation of the Convention Between the Government of the United States of America and the Government of Italian Republic

Department of the Treasury Technical Explanation of the Convention Between the Government of the United States of America and the Government of Italian Republic
Author: United States United States Government
Publisher: CreateSpace
Total Pages: 108
Release: 2015-01-02
Genre:
ISBN: 9781505691467

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This is a technical explanation of the Convention and the Protocol between the United States and the Italian Republic signed on August 25, 1999 (the "Convention" and the "Protocol"). References are made to the Convention between the United States and Italy for the Avoidance of Double Taxation with Respect to Taxes on Income and the Prevention of Fraud or Fiscal Evasion, signed on April 17, 1984 (the "prior Convention"). The Convention replaces the prior Convention.

Treaties in Force

Treaties in Force
Author:
Publisher:
Total Pages: 576
Release: 2016
Genre: Treaties
ISBN:

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Treaties in Force

Treaties in Force
Author: United States Department of State - Office of the Legal Adviser
Publisher: Government Printing Office
Total Pages: 516
Release: 2014-04-08
Genre: Political Science
ISBN: 9780160922930

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Treaties in Force is prepared by the Department of State for the purpose of providing information on treaties and other international agreements to which the United States has become a party and which are carried on the records of the Department of State as being in force as of its stated publication date, January 1, 2013. With respect to treaties and agreements in force as of January 1, 2013, information regarding status is up to date as of the date indicated as authoritative. The term “treaty” as a matter of U.S. constitutional law denotes international agreements made by the President with the advice and consent of the Senate in accordance with Article II, section 2 of the Constitution of the United States. In addition to such “treaties”, this publication covers international agreements in force that have been concluded by the Executive (a) pursuant to or in accordance with existing legislation or a prior treaty; (b) subject to congressional approval or implementation, and/or (c) under and in accordance with the President’s constitutional powers. Treaties in Force is arranged in two sections. Section 1 includes bilateral treaties and other international agreements listed by country or other international entity with subject headings under each entry. Arrangements with territorial possessions of a country appear at the end of the entry for that country. In some cases, treaties and international agreements applicable to a territory prior to its independence are included in the entry for that country on the basis of its assumption of treaty obligations upon becoming independent, as noted at the beginning of the entry for that country. For convenience, some treaties and agreements concluded with countries whose name or statehood status has changed continue to be listed under the name in use at the time the agreement was concluded, if the title of the treaty or agreement has not been formally amended. Section 2 lists multilateral treaties and other international agreements to which the United States is a party, arranged by subject. The depositary is the authoritative source for a current list of parties and information on other matters concerning the status of the agreement, and status information often changes. Information is provided on the depositary for the agreement in question, and contact information, including an Internet site is provided for the depositary where available.