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1 Taxation of Inbound Transactions Recall definition of an inbound transaction Two taxing regimes: Passive investment income 30% tax on gross income (many exclusions) Tax withheld by payor Income ‘effectively connected’ with a US ‘trade or business’ Net income taxed under graduated rates US tax return required

1 Taxation of Inbound Transactions Recall definition of an inbound transaction Two taxing regimes: Passive investment income 30% tax on gross income (many

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Page 1: 1 Taxation of Inbound Transactions Recall definition of an inbound transaction Two taxing regimes: Passive investment income 30% tax on gross income (many

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Taxation of Inbound Transactions

Recall definition of an inbound transaction

Two taxing regimes: Passive investment income

• 30% tax on gross income (many exclusions)• Tax withheld by payor

Income ‘effectively connected’ with a US ‘trade or business’• Net income taxed under graduated rates• US tax return required

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Passive Investment Income ‘Fixed or determinable’ income

Taxed under the passive investment rules if not ‘effectively connected income’

Interest, dividends, rents, royalties, annuities, prizes, found money, etc.

All gross income measurable by the payor Wages, salaries, other compensation are

‘fixed and determinable’ but are often also ‘effectively connected income’

Gains from property sales not included

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Investment Income Excluded from US Taxation

US source interest income Deposits in US financial institutions Portfolio interest

• Interest on debt held by identifiably foreign persons

• Interest paid on any obligation either• In registered form with a foreign owner, or• If in bearer form, issued with restrictions on US

ownership

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Exceptions to Nontaxability of Interest Income

US-source interest received by ‘10-percent shareholder’ of the issuer is subject to flat tax 10% or more of combined voting power 10% or more partner in a partnership Attribution rules apply in determining

ownership

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Example 1: Investment Interest Exclusion

In each case below, is interest earned by Guy, a foreign person with no ‘effectively connected’ income, subject to US tax? Guy earns $200,000 of interest from deposits of

funds held in US banks What if the interest was paid by a US corporation

of which Guy is not a shareholder? What if Guy owns 1% of the US corporation’s

outstanding common stock? 10%? 50% of its nonvoting preferred stock?

What if the interest is paid by a foreign corporation?

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Example 2: Planning without the 10% Shareholder Rule

Kim, a foreign person with no ‘effectively connected’ income, wishes to invest in a US business She forms a corporation to buy the US business The business issues Kim 1 share of common stock

and bonds with a face amount of $1 million paying 12% interest

What are Kim’s tax consequences without the 10% shareholder rule? With the rule? Does it matter if the corporation is a US

corporation or a foreign corporation?

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Other Exceptions to Non-taxability of Interest Income

US-source interest income of foreign banks on the extension of credit in the ordinary course of its trade or business

Contingent interest based on Sales, receipts, cash flow, income, or

profits of the debtor Change in value of property of the debtor Dividends or similar payments by the

debtor

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Income from Intangible Property

Royalties considered ‘fixed or determinable’ and sourced to country of use of the property

Income from sale of intangible property sourced to residence of seller

Sale versus license Sale must transfer all substantial rights Contingent payments treated as royalties

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Trade or Business Direct ownership of income-producing

property with related risks and responsibilities

Ownership of rental real estate and mineral interests may or may not qualify Depends on level of owner’s control and

involvement in operations Can elect to treat income as ‘effectively

connected’

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Example 3: Rental Income Li, a foreign person, owns rental real

estate generating $200,000 of rental income per year on which he pays $120,000 of expenses If Li’s rental activities are not considered a

trade or business, how will he be taxed? Should Li elect to treat his rental activity

as effectively connected? Why or why not?

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Other Trade or Business Activities

Income from performing services Income from sale of inventory

But not income from sale of investment assets

Income from manufacturing

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US Trade or Business Requires economic activity in the US,

but no clear threshold as to how much presence is a ‘US trade or business’ Insufficient activity includes

• Promotional activity alone• Purchase of goods in US for sale elsewhere• Sales through independent contractors/brokers

US trade or business can be imputed between agent and principal, from partnership to partners

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‘Effectively Connected’ Income

Only a foreign person who at some time has been engaged in a US trade or business can have effectively connected income US source ‘fixed or determinable’ income

and capital gains may be effectively connected under two tests• ‘asset use’• ‘activities’

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‘Effectively Connected’ Income continued

‘Asset use’ test Income from the use of assets is effectively

connected if the rental operation is a trade or business

Interest income is effectively connected if earned on funds supporting current business operations

‘Activities’ test Income is effectively connected if the ‘activities’

of the business are a ‘material factor’ in its realization

Captures income from performance of services

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Other ‘Effectively Connected’ US Source Income

All other US source income of a foreign person engaged in a US trade or business is ‘effectively connected’ Includes sales of inventory and other US

source business profits Applies beyond US source income directly

from the US trade or business in which the foreign person is engaged

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Example 4: Other US Source Income

Euro Inc., a foreign corporation with no permanent US place of business, manufactures products sold by mail to US catalogue customers Is Euro’s income from such sales

‘effectively connected’? Now suppose Euro opens a store in NYC.

Is income from the store ‘effectively connected’? What about income from the catalogue sales?

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‘Effectively Connected’ Foreign Source Income

If a foreign taxpayer has an office or other fixed place of business in the US (directly or through a dependent agent), certain foreign source income of that business is considered ‘effectively connected’ Rents and royalties for the use of intangible

property outside the US Financial gains from a US banking business or

active securities investment company Gains from the sale ‘through’ the US office of

inventory, unless sold for use outside the US and a foreign office of the taxpayer participates materially in the sale

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Example 5: Foreign Source Income

Recall example 4 in which Euro sells products by mail to US customers Would the treatment of income from these

sales change if Euro establishes a sales office in NYC to market its products, which are still manufactured and shipped from a foreign country?

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Sale of US Real Property Gains/losses of foreign persons from

sale of ‘US real property interests’ are considered ‘effectively connected’ with a US trade or business ‘US real property interest’ includes

• Direct interest in real property located in the US or the US Virgin Islands

• Interest in a ‘US real property holding company’ (USRPHC)

• Does not include less than 5% ownership of stock in a publicly traded US corporation

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Real Property Land, buildings Mineral deposits, natural resources All permanent structures on land Structural components Furnishings and other personal

property associated with the use of the real property

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‘Interests’ in Real Property Fee ownership, co-ownership,

leasehold, options Interest in any domestic corporation

qualifying as a USRPHC at any time during the shorter of The period of time the interest was held by

the foreign person, or Five years ending on the date of

disposition of the interest

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USRPHC Any corporation for whom the FMV of

its US real property is 50% or more of the FMV of its combined worldwide real property and assets used in the conduct of a trade or business Passive investment assets not included in

this test

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Example 6: USRPHC Rap Inc. owns assets with the following

values on 1/1/2002: US real property $4 million Foreign real property 2 million Foreign business assets 1 million Investments 2 million

Is Rap a USRPHC? If Ted, a foreign person, sells his 10%

interest in Rap during 2002, how will any gain or loss be treated for US tax purposes?

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Example 7: Interest in USRPHC

Refer to Example 6. Suppose that the value of Rap’s foreign assets increases to $5 million by 1/1/2003. How long would Ted need to wait before

selling his stock in order to avoid US taxation?

If Joan, another foreign person, buys Rap stock on 2/1/2003, and sells it on 12/31/2003, how will her gain or loss be treated for US tax purposes?

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Foreign Corporations Owning US Real Property

An ownership interest in a foreign corporation owning US real property is not a US real property interest Sales of such shares will not trigger

‘effectively connected’ income However, when the foreign corporation

sells the real estate, it has sold a US real property interest and is taxed on the gain in the US