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You will not want to miss this event with Patrick J. McCormick a US attorney that helps nonresidents do business in the U.S.
Nonresident taxpayers are subject to assorted United States tax consequences, and as a result are significantly differentiated from United States taxpayers, both in scope the scope of their potential tax exposure as well as the mechanics of the rules that apply to them. While nonresident corporations are subject to special income tax inclusions (largely intended to replicate the results on domestic subsidiary formation), nonresident individuals are subject to onerous American estate and gift taxes (with minimal exclusions) if treated as United States domiciliaries. For Canadian taxpayers, beneficial modification to United States statutory/regulatory tax rules can be obtained under the Canada-United States Income Tax Treaty.