Thanks.  I'll see what I can dig up.


From: Tana Jones on 07/07/2000 05:17 PM
To: Jeff Blumenthal/HOU/ECT@ECT
cc:  
Subject: Re: U.S. income tax treaties  

The page out of the book we were sent last year says "Treaty Withholding Tax 
Rates" , and under it is says "The following are US withholding tax rates for 
dividend, interest and royalty payments from the United States to residents 
of various treaty countries.  Then below there it has a list which shows the 
Country, Dividends %, Interest%, Patent and Know-how Royalties.



	Jeff Blumenthal
	07/07/2000 05:11 PM
		
		 To: Tana Jones/HOU/ECT@ECT
		 cc: 
		 Subject: Re: U.S. income tax treaties

What type of income is potentially subject to w/h tax?  I assume you're 
looking for the interest w/h tax rates.


From: Tana Jones on 07/07/2000 05:07 PM
To: Jeff Blumenthal/HOU/ECT@ECT
cc:  
Subject: Re: U.S. income tax treaties  

Jeff,

We are also usually sent a page from some tax book that show the rate of 
withholding for each of the treaty countries.  Their rate of withholding will 
impact which form we may or may not need.  Can you send it to me?  Thanks!



	Jeff Blumenthal
	07/07/2000 04:53 PM
		 
		 To: Tana Jones/HOU/ECT@ECT
		 cc: Stephen H Douglas/HOU/ECT@ECT
		 Subject: U.S. income tax treaties

Tana,

Steve Douglas asked that I forward to you the following list that sets forth 
those countries with which the United States has entered into income tax 
treaties that are currently in effect:

Australia
Austria
Barbados
Belgium
Canada
China
Cyprus
Czech Republic
Denmark
Egypt (United Arab Republic)
Estonia
Finland
France
Germany
Greece
Hungary
Iceland
India
Indonesia
Ireland
Israel
Italy
Jamaica
Japan
Kazakstan
Korea
Latvia
Lithunia
Luxembourg
Mexico
Morocco
Netherlands
New Zealand
Norway
Pakistan
Philippines
Poland
Portugal
Republic of South Africa
Romania
Russian Federation
Slovak Republic
Spain
Sweden
Switzerland
Thailand
Trinidad and Tobago
Tunisia
Turkey
Ukraine
United Kingdom
U.S.S.R.
Venezuela

Please call me at ext. 35777 if you have any questions.

Best regards.