Taxation of entertainers and sportsmen: performance income may be taxed in the source state, subject to a public funding exception. Income of a resident entertainer or sportsman from personal activities exercised in the other Contracting State may be taxed in that other State; income accruing to a third party for those activities may likewise be taxed in the State where the activities are exercised; however, if the visit is substantially supported by public funds of a Contracting State or its subdivisions, the income is taxable only in the State of residence.
Cases where this provision is explicitly mentioned in the judgment/order text; may not be exhaustive. To view the complete list of cases mentioning this section, Click here.
Provisions expressly mentioned in the judgment/order text.
Taxation of entertainers and sportsmen: performance income may be taxed in the source state, subject to a public funding exception.
Income of a resident entertainer or sportsman from personal activities exercised in the other Contracting State may be taxed in that other State; income accruing to a third party for those activities may likewise be taxed in the State where the activities are exercised; however, if the visit is substantially supported by public funds of a Contracting State or its subdivisions, the income is taxable only in the State of residence.
Full Summary is available for active users!
Note: It is a system-generated summary and is for quick reference only.