Rev. Rul. 60-288
Rev. Rul. 60-288; 1960-2 C.B. 265
- Code Sections
- Jurisdictions
- LanguageEnglish
- Tax Analysts Electronic Citationnot available
Obsoleted by T.D. 8734 Clarified by Rev. Rul. 66-55
Rev. Rul. 60-288
There is set forth below a revised table for withholding of tax at the source, in the case of nonresident alien individuals and nonresident foreign corporations, incident to the administration of the several income tax conventions to which the United States is a party. This table supersedes the table which appears in Revenue Ruling 57-391, C.B. 1957-2, 606.
The exemptions from, or reduced rates of, United States tax, varying as between countries and so to specific items of income, require withholding agents to consult, before disbursement of such income, the provisions of the Treasury Decision applicable to the country of the taxpayer (nonresident of the United States) to whom the payment is being made. The table has been confined to dividends, interest, royalties, and real estate rentals, which, with few exceptions, include practically all income subject to withholding under section 1441 and 1442 of the Internal Revenue Code of 1954.
Rates of United States tax to be withheld at the source in the
case of nonresident aliens and nonresident foreign corporations
pursuant to existing income tax conventions
Real
estate Applicable
rentals Treasury
Country Dividends Interest Royalties natural Decisions
1 resource
royalties
--------------------------------------------------------------------
Australia 15%/4/ NE E/2,3/ NE/8/ 6108, C.B.
1954-2,
614.
Austria 15%/3,5/ E/3,17,24/ E/3,11,18,25/ NE/8/ 6322, C.B.
1958-2,
1038.
Belgium/23/ 15%/3/ 15%/3/ E/3/ NE/8/ 6056, C.B.
1954-1,
132.
Canada 15%/3,5/ 15%/3/ 15%/3,13/ 15%/3,9/ 6047, C.B.
1953-2,
59.
Denmark 15%/3,5/ E/3/ E/3/ NE/8/ 5692, C.B.
1949-1,
104.
Finland 15%/3,5/ E/3/ E/3,11/ NE/8/ 6030, C.B.
1953-2,
185.
France 15%/3/ 15%/3/ E/3/ NE/8/ 6273, C.B.
1957-2,
1020.
Germany 15%/3,15/ E/3,16/ E/3/ NE/8/ 6122, C.B.
1955-1,
641.
Greece NE E/3,6/ E/3,11/ NE/8/ 6109, C.B.
1954-2,
638
Honduras NE E/3/ E/3/ NE/8/ 6264, C.B.
1957-2,
1049.
Ireland 15%/4,5/ E/4,6/ E/4/ 15%/4,8/ 5897, C.B.
1952-1,
89.
Italy 15%/3,5/ NE E/3/ NE/8/ 6215, C.B.
1956-2,
1105.
Japan NE 15%3/5/ 15%/3/ NE/8/ 6130, C.B.
1955-1,
665.
Netherlands 15%/3,5/ E/3,7/ E/3/ NE/8/ 5690, C.B.
1949-1,
92.
Netherlands 15%/3,5/ E/3,7/ E/3/ NE/8/ 6153, C.B.
Ant 1955-2,
777.
New Zealand 15%/3/5/ NE NE/10/ NE/10/ 5957, C.B.
1953-1,
238.
Norway 15%/3/6/ E/3/ E/3/ NE/8/ 5956, C.B.
1953-1,
228./22/
Pakistan 15%/3,19/ NE E/3,11,25/ NE 6431, C.B.
1960-1,
755.
South NE NE NE NE/8/ None is-
Africa sued./12/
Sweden 10%/14/ NE E/14/ NE 4975, C.B.
1940-2,
43.
Switzerland 15%/3,6/ 5%/3/ E/3/ NE/8/ 5867, C.B.
1951-2,
75.
United 15%/4,5/ E/4,6/ E/26/ 15%/4,8/ 5532, C.B.
Kingdom 1946-2,
73.
United 15%/4,5/ E/4,6,21/ E/26/ 15%/4,8/ 6437, C.B.
Kingdom 1960-1,
Colonies/20/ 767.
Definitions:
E--Exempt.
NE--Not exempt--Tax to be withheld at the statutory rate
prescribed by sections 1441 and 1442 of the Internal Revenue Code of
1954.
References:
1 Except interest on tax-free covenant bonds issued before
January 1, 1934, as to which the obligor has assumed liability for
tax greater than 2 percent of such interest.
2 Copyright royalties only.
3 Applicable if no permanent establishment in United States.
4 Applicable if no permanent establishment in United States and
subject to tax of the other contracting party.
5 The rate is five percent on dividends paid by domestic
subsidiary corporation subject to prescribed conditions.
6 Does not apply to interest paid by controlled corporation.
7 Does not apply to interest paid by controlled corporation nor
to interest on mortgages secured on real estate.
8 Recipient may elect to be subject to tax on a net basis by
filing Form 1040B.
9 Recipient may elect to be subject to tax on a net basis but
only on real property by filing Form 1040B.
10 No exemption except motion picture film rentals; net basis
tax elective (on filing Form 1040B) on real property rentals, natural
resource royalties, and industrial royalties (other than film
rentals).
11 Does not apply to motion picture film rentals or royalties.
12 See the Income Tax Convention between the United States and
the Union of South Africa effective July 1, 1946, appearing in
Cumulative Bulletin 1954-2, 651, 655.
13 Copyright royalties are exempt from tax and withholding
provided the taxpayer has no permanent establishment in the United
States.
14 Applicable whether or not engaged in trade or business in
United States.
15 Applies only if the German company deriving dividend owns at
least 10 percent of voting stock of the domestic corporation paying
dividend.
16 Not applicable to interest on debts secured by mortgages on
farms, timberlands, or real property used wholly or partly for
housing purposes.
17 Not applicable to interest on debts secured by mortgages.
18 Motion picture film rentals are taxed at a rate of 10
percent.
19 Applies only to a Pakistan company owning shares carrying
more than 50 percent of the voting power in the United States
corporation paying the dividend.
20 Applicable to the following Overseas Territories of the
United Kingdom: Aden, Antigua, Barbados, British Honduras, Cyprus,
Dominica, Falkland Islands, Gambia, Grenada, Jamaica, Montserrat,
Nigeria, Federation of Rhodesia and Nyasaland, Federation of St.
Christopher, Nevis, and Anguilla, St. Lucia, St. Vincent, Seychelles,
Sierra Leone, Trinidad and Tobago, and the Virgin Islands.
21 Applies only to the Federation of Rhodesia and Nyasaland.
22 Revised withholding regulations in process.
23 Applicable to the Trust Territory of Ruanda-Urundi as per
Treasury Decisions 6438, C.B. 1960-1, 739, and 6469, C.B. 1960-1,
752. The question as to whether the Convention now applies to the new
state of Congo has not been resolved.
24 The interest exempted shall be an amount not exceeding fair
and reasonable consideration on indebtedness.
25 The royalty exempted shall be an amount not exceeding fair
and reasonable consideration.
26 Applicable if subject to tax of the other contracting party
and if no permanent establishment in the United States or if the
royalty is not directly associated with the business carried on
through a permanent establishment in the United States.
The exemptions from, or reductions in rate of, United States tax set forth above with respect to interest, royalties, real property rentals and natural resource royalties are applied at the source upon filing, by the payee of the income, with the withholding agent in the United States, of the appropriate certificate (or letter, as the case may be) as prescribed by regulations (Treasury Decisions cited above).
The reduced rate in the case of dividends (other than those with respect to which the rate of five percent is claimed) is applicable at the source in every case in which the address of the stockholder on the records of the disbursing entity paying the dividend (or on those of the domestic agent receiving such dividend on behalf of the nonresident alien individual or nonresident foreign corporation) is in the foreign country concerned. The reduced rate of five percent is applicable only where the Commissioner of Internal Revenue determines, and so notifies the paying corporation, that such reduced rate applies.
- Code Sections
- Jurisdictions
- LanguageEnglish
- Tax Analysts Electronic Citationnot available