Specific Treatment of Retirement Plans. The United States shall treat as a deemed- compliant FFI or exempt beneficial owner, as appropriate, for purposes of section 1471 of the U.S. Internal Revenue Code Danish retirement plans described and identified in Annex II. For this purpose, a Danish retirement plan includes an entity established or located in and regulated in Denmark, or a predetermined contractual or legal arrangement, operated to provide pension or retirement benefits or earn income for providing such benefits under the laws of Denmark and regulated with respect to contributions, distributions, reporting, sponsorship, and taxation.
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Specific Treatment of Retirement Plans. The United States shall treat as a deemed- deemed-compliant FFI or exempt beneficial owner, as appropriate, for purposes of section 1471 of the U.S. Internal Revenue Code Danish Norwegian retirement plans described and identified in Annex II. For this purpose, a Danish Norwegian retirement plan includes an entity established or located in and regulated in DenmarkNorway, or a predetermined contractual or legal arrangement, operated to provide pension or retirement re- tirement benefits or earn income for providing such benefits under the laws of Denmark Norway and regulated with respect to contributions, distributions, reporting, sponsorship, and taxation.
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Samples: Agreement
Specific Treatment of Retirement Plans. The United States shall treat as a deemed- compliant FFI or exempt beneficial owner, as appropriate, for purposes of section 1471 of the U.S. Internal Revenue Code Danish retirement plans described and identified in Annex IIXxxxx XX. For this purpose, a Danish retirement plan includes an entity established or located in and regulated in Denmark, or a predetermined contractual or legal arrangement, operated to provide pension or retirement benefits or earn income for providing such benefits under the laws of Denmark and regulated with respect to contributions, distributions, reporting, sponsorship, and taxation.
Appears in 1 contract
Samples: Agreement
Specific Treatment of Retirement Plans. The United States shall treat as a deemed- compliant FFI or exempt beneficial owner, as appropriate, for purposes of section 1471 of the U.S. Internal Revenue Code Danish Norwegian retirement plans described and identified in Annex II. For this purpose, a Danish Norwegian retirement plan includes an entity established or located in and regulated in DenmarkNorway, or a predetermined contractual or legal arrangement, operated to provide pension or retirement benefits or earn income for providing such benefits under the laws of Denmark Norway and regulated with respect to contributions, distributions, reporting, sponsorship, and taxation.
Appears in 1 contract
Samples: Agreement