Suspension of Rules Relating to Non-Consenting U.S. Accounts. a) Subject to subparagraph 2(b) of this Article, the United States shall not require a Reporting Austrian Financial Institution to withhold tax under section 1471 or 1472 of the U.S. Internal Revenue Code with respect to an account held by a recalcitrant account holder (as defined in section 1471(d)(6) of the U.S. Internal Revenue Code), or to close such account, if:
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Samples: www.ris.bka.gv.at, www.ris.bka.gv.at, www.bmf.gv.at
Suspension of Rules Relating to Non-Consenting U.S. Accounts. a) Subject to subparagraph 2(b) of this Article, the United States shall not require a Reporting Austrian [FATCA Partner] Financial Institution to withhold tax under section 1471 or 1472 of the U.S. Internal Revenue Code with respect to an account held by a recalcitrant account holder (as defined in section 1471(d)(6) of the U.S. Internal Revenue Code), or to close such account, if:
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Samples: www.treasury.gov, www.treasury.gov, home.treasury.gov
Suspension of Rules Relating to Non-Consenting U.S. Accounts. a) Subject to subparagraph 2(b) of this Article, the United States shall not require a Reporting Austrian San Marino Financial Institution to withhold tax under section 1471 or 1472 of the U.S. Internal Revenue Code with respect to an account held by a recalcitrant account holder (as defined in section 1471(d)(6) of the U.S. Internal Revenue Code), or to close such account, if:
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Samples: Agreement
Suspension of Rules Relating to Non-Consenting U.S. Accounts. (a) Subject to subparagraph 2(b) of this Article, the United States shall not require a Reporting Austrian San Marino Financial Institution to withhold tax under section 1471 or 1472 of the U.S. Internal Revenue Code with respect to an account held by a recalcitrant account holder (as defined in section 1471(d)(6) of the U.S. Internal Revenue Code), or to close such account, if:
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Samples: Agreement