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Rev. Rul. 66-281


Rev. Rul. 66-281; 1966-2 C.B. 483

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Citations: Rev. Rul. 66-281; 1966-2 C.B. 483

Obsoleted by Rev. Rul. 74-625

Rev. Rul. 66-281

For the purpose of the interest equalization tax, the definition of the term `United States person,' as contained in section 4920(a)(4) of the Internal Revenue Code of 1954, does not include a trust when the grantor of the trust is treated as the owner of the entire trust under section 676 of the Code and such grantor is a nonresident alien individual.

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