Inbound Taxation: Foreign Taxpayers Engaged in U.S. Business
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Presented by: Robert F. Klueger, J.D., LL.M., Attorney at Klueger and Stein, LLP
This presentation deals with how the United States taxes the activities of foreigners who conduct activities or have investments in the United States. A nonresident alien is taxed on income that is “effectively connected to the conduct of a United States trade or business.“ They are not subject to United States taxation on worldwide activities. It is possible to plan so that a nonresident alien in the United States is not, for purposes of regular United States taxation, engaged in the conduct of a trade or business.
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