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IRS.gov Website
Publication 515
taxmap/pubs/p515-013.htm#en_us_publink1000225127

Tax Treaties(p51)

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The United States has bilateral income tax treaties, also known as "conventions," with a number of foreign countries under which residents (sometimes limited to citizens) of those countries are taxed at a reduced rate or are exempt from U.S. income taxes on certain income received from within the United States.
Income that is exempt under a treaty is not subject to withholding at source under the statutory rules discussed in this publication.
taxmap/pubs/p515-013.htm#en_us_publink100047771

Obtaining treaty information.(p51)

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You can obtain the full text of these treaties, and accompanying technical explanations, at IRS.gov/Businesses/International-Businesses/United-States-Income-Tax-Treaties-A-to-Z.
Detailed information about treaty provisions can be found at IRS.gov/Individuals/International-Taxpayers/Tax-Treaties.
taxmap/pubs/p515-013.htm#en_us_publink100047772

Tax treaty tables.(p51)

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The tax treaty tables previously contained in this publication have been updated and moved to IRS.gov/Individuals/International-Taxpayers/Tax-Treaty-Tables.