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Let me rephrase then.I'm confident enough that the taxpayer does not pay US tax on the interest income due to article 11, pg. 1 that I intend to file it this wa...
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Okay, I understand your point. But I'm going to also add that this taxpayer owns real estate (a primary residence) in France and is liable to pay taxes to Franc...
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The taxpayer isn't a citizen of either the USA or France. The taxpayer only holds a green card for the USA.I'm confused policy-wise why a tax treaty would exclu...
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Hello,I'm checking up to see if my understanding of the France-US income tax treaty is correct.The taxpayer is a US greencard holder who has a permanent home in...
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"Pursuant to the authority contained in section 6114 (b), reporting is waived under this section with respect to any of the following return positions taken by ...