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Printable Form 8833 Hillsboro Oregon: What You Should Know
EAST BEND COLUMBIA POLICE DEPARTMENT FORM 8833, THE TREATY-BASED RETURN POSITION DISCLOSURE UNDER Section REGULATIONS (REGISTRATION NO. 6610) PROSPECTIVE U.S. TAX-EXEMPT FACILITIES. (a) IN GENERAL. An international organization is a qualified foreign corporation within the meaning of section 864(a) (5) and, for purposes of this section, a qualified foreign corporation shall be considered a foreign trust subject to the same rules as would a qualified U.S. trust, except that the foreign corporation shall be treated as a subsidiary of the qualifying U.S. trust for purposes of determining the tax imposed under this subchapter by its U.S. parent. At least 51 1/2% of the consolidated value of the voting securities of the qualifying U.S. trust shall be owned by at least 51 1/2% of the members of the qualified foreign corporation. A qualified foreign corporation (or a related person) is a foreign person whose gross income (from sources within the United States, other than those sources described in section 461(e)(1)) (or, in the case of a foreign corporation, gross income from sources within a U.S. possession, as defined in section 1(h)(3)(B)), for the taxable year, did not exceed 10,000,000. A qualified foreign corporation (or a related person) that is a controlled foreign corporation shall be treated as a foreign person if, in the aggregate, more than 50% of the gross income (or, in the case of a foreign corporation, gross income from sources within a U.S. possession) of the foreign corporation is derived (directly or indirectly) from sources within the United States, other than those sources described in section 461(e)(1). (b) TREATABLE FOREIGN CORPORATIONS.
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