New Jersey CPA - Spring 2021

Page 24

TAX

International Tax: The Basics of Income Sourcing BY PATRICK J. McCORMICK, ESQ., CULHANE MEADOWS PLLC

A foundational consideration in the international tax realm is rules regarding income sourcing; for nonresidents, whether income is U.S.-sourced ultimately dictates the extent of American tax exposure. This article explores sourcing considerations under the Internal Revenue Code (and associated regulations) for some of the most common income categories earned by multinationals. It does not address income tax treaty relief available to nonresidents residing in a treaty party jurisdiction. While the same general sourcing rules are applicable to treaty party residents, treaties can substantially modify the rates and scope of American tax. INTEREST Under American rules, interest on notes, bonds or other interest-bearing obligations of residents or domestic corporations are sourced to the United States. Interest for sourcing purposes includes original issue discount and amounts treated as interest on certain deferred payments. Irrespective of sourcing, however, expansive exceptions exist to American tax of interest income earned by a nonresident. Portfolio interest received by nonresidents from

22

SPRING 2021 | NEW JERSEY CPA

American sources is not subject to American taxation; interest paid to nonresidents on deposits with banking institutions, savings and loan associations, and specified interest paid by insurance companies are also excluded from tax.

use an intangible and (2) actually uses the intangible. Where a nonresident generates royalties from foreign markets, the income is foreign-sourced even if conversion of the intangible into its tangible end user format occurs in the United States.

DIVIDENDS Under statutory U.S. rules, dividends whose beneficial owners are nonresidents are subject to tax by the U.S.; dividend income is sourced to the place of incorporation of the payor. The rule is applicable for payments normally considered dividends under the Code — distributions from corporate entities with either accumulated or current earnings and profits. Income generally treated as dividends under Code provisions — like constructive dividends — is treated as dividends for sourcing purposes.

PROPERTY DISPOSITION Income from the sale of non-depreciable personal property by a U.S. resident is sourced to the U.S., with special rules applicable for depreciable property (discussed separately below); personal property sold by a nonresident is sourced outside the U.S. Depreciable personal property is sourced under separate rules. Gain not in excess of depreciation adjustments from the sale of depreciable personal property is allocated by treating the same proportion of the gain as sourced in the U.S. as U.S. depreciation adjustments bear to the total depreciation adjustments; the remaining portion is treated as sourced outside the U.S. Gain in excess of depreciation adjustments is sourced as if the property were inventory. For inventory property, gains, profits and income derived from the sale of inventory property within the U.S. create U.S.-sourced income. Conversely, gains derived from the purchase of inventory within the U.S. and sold outside the U.S. is foreign-sourced income.

PERSONAL SERVICES Income from the performance of services — whether as an employee or on an independent basis — is sourced to the country where services are performed. Where a nonresident receives income for personal services performed both inside and outside the U.S. (i.e., an employee compensated through an annual salary who splits workdays in a given year between the U.S. and Mexico), allocation between countries based on workdays is required; in most cases, apportionment on a time basis is appropriate. Similar sourcing rules apply to multinational, multiyear compensation arrangements — where compensation is taxed to an employee in one taxable year but is attributable to services performed in multiple years. RENTS/ROYALTIES Income from the use of property — primarily rents and royalties — are covered under Sec. 861(a)(4), with both rents and royalties sourced based upon the property’s place of use. For intangible property, sourcing focuses on where the licensee (1) maintains the legal ability to

Patrick McCormick, Esq., is a partner at Culhane Meadows and practices exclusively in the area of international taxation. He can be reached at pmccormick@cm.law.

LEARN MORE On Demand

REPORT OF FOREIGN BANK AND FINANCIAL ACCOUNTS

UNDERSTANDING THE FOREIGN ACCOUNT TAX COMPLIANCE ACT

njcpa.org/events


Turn static files into dynamic content formats.

Create a flipbook

Articles inside

Becoming a CPA — Still a Mother’s Dream

3min
page 30

NJCPA News

7min
pages 27-28

30 Under 30: Then and Now

2min
page 26

5 Simple Tech Tools to Increase Effectiveness and Efficiency

3min
page 25

International Tax: The Basics of Income Sourcing

3min
page 24

Preventing Unauthorized Data Access in the Cloud

3min
page 23

6 Ways to Grow Your Network by Giving Back to the Profession

3min
page 22

The Impact of COVID-19 on Business Valuations

3min
page 21

Finding Balance: Asset Allocation in a Post-COVID Economy

3min
page 20

Using Data Analytics to Manage the Pandemic

3min
pages 18-19

7 Tips for Creating a Modern Policy Manual

3min
page 17

Making the Most of Post-Grad CPA Exam Summer Studies

3min
page 16

Internal Audit: To Yield Value, We Must Collaborate

3min
pages 14-15

Staying on Target to Pass the CPA Exam

4min
pages 12-13

Tax Challenges Loom for New Jersey's Cannabis Industry

5min
pages 10-11

New Sheriff in Town: Biden to Focus on Reversing Trump Policies

1min
pages 8-9

The Pandemic's Impact on NJCPA Members

5min
pages 6-7

Setting the Course for Future CPAs

3min
page 4
Issuu converts static files into: digital portfolios, online yearbooks, online catalogs, digital photo albums and more. Sign up and create your flipbook.