Versions of 26 CFR 1.882-1 - Taxation of foreign corporations engaged in U.S. business or of foreign corporations treated as having effectively connected income on LawServer 2024 26 CFR 1.882-1 – Taxation of foreign corporations engaged in U.S. business or of foreign corporations treated as having effectively connected income 2023 26 CFR 1.882-1 – Taxation of foreign corporations engaged in U.S. business or of foreign corporations treated as having effectively connected income 2022 26 CFR 1.882-1 – Taxation of foreign corporations engaged in U.S. business or of foreign corporations treated as having effectively connected income 2021 26 CFR 1.882-1 – Taxation of foreign corporations engaged in U.S. business or of foreign corporations treated as having effectively connected income 2015 26 CFR 1.882-1 – Taxation of foreign corporations engaged in U.S. business or of foreign corporations treated as having effectively connected income 2014 26 CFR 1.882-1 – Taxation of foreign corporations engaged in U.S. business or of foreign corporations treated as having effectively connected income 2010 26 CFR 1.882-1 – Taxation of foreign corporations engaged in U.S. business or of foreign corporations treated as having effectively connected income 2009 26 CFR 1.882-1 – Taxation of foreign corporations engaged in U.S. business or of foreign corporations treated as having effectively connected income