Internal Revenue Code section 861: Difference between revisions
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==Section 861 and tax protesters== |
==Section 861 and tax protesters== |
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{{details|Tax protester statutory arguments}} |
{{details|Tax protester statutory arguments}} |
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Although Section 861 relates to the taxes imposed on nonresident alien individuals and certain foreign corporations, the language of Section 861 is occasionally cited by [[tax protester]]s, who claim that the statute excludes some portion of the income of '''U.S. citizens and resident aliens''' from taxation under the provisions of the Code. The courts have uniformly rejected this argument. |
Although Section 861 relates to the taxes imposed on nonresident alien individuals and certain foreign corporations, the language of Section 861 is occasionally cited by [[tax protester]]s, who claim that the statute excludes some portion of the income of '''U.S. citizens and resident aliens''' from taxation under the provisions of the Code. The courts have uniformly rejected this argument.{{citation needed}}<!--Article cites no sources. The language, particularly with the use of the word "uniformly", can be construed as biased.--> |
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==External links== |
==External links== |
Revision as of 18:44, 15 August 2006
Internal Revenue Code 861, 26 U.S.C. § 861, titled "Income from sources within the United States" is a provision of the Internal Revenue Code which delineates what kinds of income shall be treated as income from sources within the United States, as opposed to income treated as income from sources outside the United States, for purposes of various taxes imposed by Subchapter N (sections 861 through 999) of Chapter 1 of Subtitle A of the Code.
Among the taxes to which section 861 relates are:
Section 861 and tax protesters
Although Section 861 relates to the taxes imposed on nonresident alien individuals and certain foreign corporations, the language of Section 861 is occasionally cited by tax protesters, who claim that the statute excludes some portion of the income of U.S. citizens and resident aliens from taxation under the provisions of the Code. The courts have uniformly rejected this argument.[citation needed]