FACTS. P and S organize a partner- ship, PRSX, under the laws of Country X. PRSX is treated as a partnership for both U.S. and Country X tax purposes. PRSX owns FBX. PRSX earns U.S. source income that is unconnected with its FBX branch operations, and such income is not subject to tax by Country X. In addition, such U.S. source in- come is not attributable to FBX under § 1.1503(d)–5.
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Samples: Internal Revenue Service Regulation, Internal Revenue Service Regulation, Tax Regulation