FEDERAL · 26 U.S.C. · Chapter 4

Special rules

Current through Pub. L. 119-102
Title 26Internal Revenue Code·Ch. 4 — TAXES TO ENFORCE REPORTING ON CERTAIN FOREIGN ACCOUNTS
(a)Liability for withheld tax Every person required to deduct and withhold any tax under this chapter is hereby made liable for such tax and is hereby indemnified against the claims and demands of any person for the amount of any payments made in accordance with the provisions of this chapter.
(b)Credits and refunds
(1)In general Except as provided in paragraph (2), the determination of whether any tax deducted and withheld under this chapter results in an overpayment by the beneficial owner of the payment to which such tax is attributable shall be made as if such tax had been deducted and withheld under subchapter A of chapter 3.
(2)Special rule where foreign financial institution is beneficial owner of payment
(A)In general In the case of any tax properly deducted and withheld under

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26 U.S.C. § 1474 (Special rules) — published by Counsel Stack Legal Research, free access to 12M+ legal documents.

Related

§ 1471
26 U.S.C. § 1471
§ 3406
26 U.S.C. § 3406
§ 6103
26 U.S.C. § 6103

Source Credit

History

(Added Pub. L. 111–147, title V, §501(a), Mar. 18, 2010, 124 Stat. 104.)

Editorial Notes

Editorial Notes

Prior Provisions
For prior sections 1481 and 1482, see Prior Provisions note preceding section 1471 of this title.