Taxpayer is US resident, sold vacation home in Puerto Rico
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The capital gain is sourced to Puerto Rico but also taxable in the US although a foreign tax credit will be allowed for the tax paid or accrued. My understanding is that 480.6c is only a withholding certificate; taxes were withheld on gross income but the actual nonresident liability is to be determine on the nonresident tax return based on gain realized.
The capital gain is sourced to Puerto Rico but also taxable in the US although a foreign tax credit will be allowed for the tax paid or accrued. My understanding is that 480.6c is only a withholding certificate; taxes were withheld on gross income but the actual nonresident liability is to be determine on the nonresident tax return based on gain realized.
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