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Home / Tolley's Global Mobility: Personal Taxes /USA /US1 Overview of the tax regime in the United States /US1.6 Withholding taxes / US1.6.4 Withholding on the proceeds from the sale of a US partnership interest
Commentary

US1.6.4 Withholding on the proceeds from the sale of a US partnership interest

USA

A partnership interest is a capital asset.

If a non-resident alien disposes of personal property, the sourcing rules for sales of personal property would put the gain or loss from such a sale outside the scope of Federal Income Tax. However, following a law change enacted

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