Time and Manner of Exchange of Information. 1. For purposes of the exchange obligation in Article 2, the amount and characterization of payments made with respect to a U.S. Reportable Account may be determined in accordance with the principles of the United Kingdom’s tax laws, and the amount and characterization of payments made with respect to a United Kingdom Reportable Account may be determined in accordance with principles of U.S. federal income tax law.
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Time and Manner of Exchange of Information. 1. For purposes of the exchange obligation in Article 2, the amount and characterization characterisation of payments made with respect to a U.S. United Kingdom Reportable Account may be determined in accordance with the principles of the Isle of Man’s tax laws, and the amount and characterisation of payments made with respect to an Isle of Man Reportable Account may be determined in accordance with the principles of the United Kingdom’s tax laws, and the amount and characterization of payments made with respect to a United Kingdom Reportable Account may be determined in accordance with principles of U.S. federal income tax law.
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Time and Manner of Exchange of Information. 1. For purposes of the exchange obligation in Article 2, the amount and characterization of payments made with respect to a U.S. Reportable Account may be determined in accordance with the principles of the United Kingdom’s tax laws, and the amount and characterization characterisation of payments made with respect to a United Kingdom Reportable Account may be determined in accordance with the principles of U.S. federal income tax law.the laws of Anguilla
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Time and Manner of Exchange of Information. 1. For purposes of the exchange obligation in Article 2, the amount and characterization of payments made with respect to a U.S. Reportable Account may be determined in accordance with the principles of the United Kingdom’s tax laws, and the amount and characterization characterisation of payments made with respect to a United Kingdom Reportable Account may be determined in accordance with the principles of U.S. federal income tax lawthe Turks and Caicos Island’s laws.
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Time and Manner of Exchange of Information. 1. For purposes of the exchange obligation in Article 22 of this Agreement, the amount and characterization of payments made with respect to a U.S. Reportable Account may be determined in accordance with the principles of the United Kingdom’s tax lawslaws of Guernsey, and the amount and characterization of payments made with respect to a United Kingdom Guernsey Reportable Account may be determined in accordance with principles of U.S. federal income tax law.
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Time and Manner of Exchange of Information. 1. For purposes of the exchange obligation in Article 2, the amount and characterization characterisation of payments made with respect to a U.S. United Kingdom Reportable Account may be determined in accordance with the principles of Gibraltar’s tax laws, and the amount and characterisation of payments made with respect to a Gibraltar Reportable Account may be determined in accordance with the principles of the United Kingdom’s tax laws, and the amount and characterization of payments made with respect to a United Kingdom Reportable Account may be determined in accordance with principles of U.S. federal income tax law.
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Time and Manner of Exchange of Information. 1. For purposes of the exchange obligation in Article 2, the amount and characterization characterisation of payments made with respect to a U.S. United Kingdom Reportable Account may be determined in accordance with the principles of Guernsey’s tax laws, and the amount and characterisation of payments made with respect to a Guernsey Reportable Account may be determined in accordance with the principles of the United Kingdom’s tax laws, and the amount and characterization of payments made with respect to a United Kingdom Reportable Account may be determined in accordance with principles of U.S. federal income tax law.
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