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Certain Payments to Nonresident Aliens
2010

Generally, payments by a U.S. person of interest, dividends, and other fixed or determinable, annual or periodic, income items to a foreign person or corporation are subject to a 30% withholding tax. Important exceptions to this tax are certain bank and portfolio interest payments, payments to treaty country recipients, and payments that are related to a U.S. business of the recipient.

 

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