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Proposed Regs Address Foreign Pension Exception to FIRPTA
RSM US
June 13, 2019 "The proposed regulations address section 897(l), which provides that a qualified pension fund (or a qualified controlled entity) is not treated as a nonresident alien individual or foreign corporation for purposes of FIRPTA. Under the proposed regulations, a qualified pension fund that has a gain or loss from the disposition of [U.S. real property interests] would be exempt from taxation." MORE >> |
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