Announcement 2006-80

Announcement 2006-80

Announcement 2006-80

Supplemental Tables of Income Tax Rates Under New Income Tax Convention With Bangladesh and Protocol With Sweden

The United States recently exchanged instruments of ratification for a new income tax treaty with Bangladesh and a new protocol with Sweden.

Bangladesh. The provisions relating to withholding tax at source are effective for amounts paid or credited on or after October 1, 2006. For other taxes, the treaty is effective for tax periods beginning on or after January 1, 2007.

Sweden. The provisions relating to withholding tax at source are effective for amounts paid or credited on or after October 1, 2006. For other taxes, the protocol is effective for tax years beginning on or after January 1, 2007.

Tables 1 and 2. The following tables can be used to supplement Tables 1 and 2 in Publication 515, Withholding of Tax on Nonresident Aliens and Foreign Entities, and Publication 901, U.S. Tax Treaties. The footnotes in those publications that relate to the column headings in these tables generally apply to these entries.

The protocol with Sweden affects only the footnotes in columns 6 and 7 of Table 1. These are the only columns shown for Sweden. The tables in Publication 515 and Publication 901 for Sweden can be used for the other columns of Table 1 and for Table 2.

**Table 1.**Withholding Tax Rates on Income Other Than Personal Service Income
Income code number123679101112131421
Country/Code
BangladeshBG10 a,g,i10 a,f,g,i10 a,g,i15 a,j10 a,b,j0 a,h10 a10 a10 a300 c,d,e30
SwedenSW15 a,k,l5 a,b,k,l,m
Income Codes
1 Interest paid by U.S. obligors — General10 Industrial royalties
2 Interest on real property mortgages11 Copyright royalties — Motion pictures and Television
3 Interest paid to controlling foreign corporations12 Copyright royalties — Other
6 Dividends paid by U.S. corporations — General13 Real property income and Natural resources royalties
7 Dividends qualifying for direct dividend rate14 Pensions and annuities
9 Capital gains21 Social security payment
Footnotes
aThe reduction in rate does not apply if the recipient has a permanent establishment in the United States and the property giving rise to the income is effectively connected with this permanent establishment. The reduction in rate also does not apply if the property producing the income is effectively connected with a fixed base in the United States from which the recipient performs independent personal services.
bThe reduced rate applies to dividends paid by a subsidiary to a foreign parent corporation that has the required percentage of stock ownership.
cExemption does not apply to U.S. Government (federal, state, or local) pensions and annuities; a 30% rate applies to these pensions and annuities. U.S. Government pensions paid to an individual who is both a resident and national of Bangladesh are exempt from U.S. tax.
dDoes not apply to an annuity received for services rendered.
eIncludes alimony.
fReduced rate does not apply to an excess inclusion for a residual interest in a real estate mortgage investment conduit (REMIC).
gThe rate is 5% for interest (a) beneficially owned by a bank or other financial institution (including an insurance company) or (b) paid due to a sale on credit of any industrial, commercial, or scientific equipment, or of any merchandise to an enterprise.
hExemption does not apply to gains on the sale of real property.
iThe rate is 15% for contingent interest that does not qualify as portfolio interest.
jThe rate in column 6 applies to dividends paid by a regulated investment company (RIC) or real estate investment trust (REIT). However, that rate applies to dividends paid by a REIT only if the beneficial owner of the dividends is (a) an individual holding not more than a 10% interest in the REIT, (b) a person holding not more than 5% of any class of the REIT’s stock and the dividends are paid on stock that is publicly traded, or (c) a person holding not more than a 10% interest in the REIT and the REIT is diversified.
kAmounts paid to a pension fund that are not derived from the carrying on of a business by the fund or through an associated enterprise are exempt. To be entitled to the exemption, the pension fund must not sell or make a contract to sell the holding from which such dividend is derived within two months of the date such pension fund acquired such holding.
lThe rate in column 6 applies to dividends paid by a regulated investment company (RIC) or real estate investment trust (REIT). However, that rate applies to dividends paid by a REIT only if the beneficial owner of the dividends is (a) an individual or a pension fund holding not more than a 10% interest in the REIT, (b) a person holding not more than 5% of any class of the REIT’s stock and the dividends are paid on stock that is publicly traded, or (c) a person holding not more than a 10% interest in the REIT and the REIT is diversified. Dividends paid to a pension fund from a RIC, or a REIT that meets the above conditions, are exempt if the pension fund satisfies the requirements described in footnote (k).
mDividends paid by an 80%-owned corporate subsidiary are exempt if certain conditions are met.

Table 2. Compensation for Personal Services Performed in United States Exempt from Withholding and U.S. Income Tax Under Income Tax Treaties
Category of Personal ServicesMaximum Presence in U.S.Required Employer or PayerMaximum Amount of CompensationTreaty Article Citation
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CountryCode 1Purpose
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Bangladesh15Scholarship or fellowship grant22 years5Any U.S. or foreign resident 3No limit21(2)
16Independent personal services6,8183 daysAny contractorNo limit15
20Public entertainment8No limitAny contractor$10,000718
17Dependent personal services4183 daysAny foreign residentNo limit16
20Public entertainment8No limitAny contractor$10,000718
18Teaching or research22 yearsAny U.S. or foreign residentNo limit21(1)
19Studying and training:2 Remittances or allowances2 years5Any foreign residentNo limit21(2)
Compensation during study or training2 years5Any U.S. or foreign resident$8,000 p.a.21(2)
Footnotes
1Refers to income code numbers under which the income is reported on Forms 1042-S. Personal services must be performed by a nonresident alien individual who is a resident of the specified treaty country.
2Does not apply to compensation for research work primarily for private benefit.
3Grant must be from a nonprofit organization. The exemption also applies to amounts from either the U.S. or foreign government.
4The exemption does not apply if the employee’s compensation is borne by a permanent establishment or a fixed base that the employer has in the United States.
5The time limit pertains only to an apprentice or business trainee.
6Exemption does not apply to the extent income is attributable to the recipient’s fixed U.S. base.
7Exemption does not apply if gross receipts, including reimbursements, exceed this amount during the year. Income is fully exempt if visit to the United States is substantially supported by public funds of the treaty country or its political subdivisions or local authorities.
8Withholding at 30% may be required because the factors on which the treaty exemption is based may not be determinable until after the close of the tax year.
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