How do tax treaties affect withholding on dividends from my U.S. LLC?
My U.S. LLC elected to be taxed as a corporation and now pays dividends to me as the sole foreign shareholder. The default 30% withholding is being applied. I am a resident of the Netherlands and I believe there is a tax treaty that could help. What dividend withholding rate does the U.S.-Netherlands treaty provide? How do I claim the reduced rate?
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