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A, a U.S. Income tax nonresident alien, owns awarehouse which is triple net leased to FLACO, a Florida company. Assume that A's rental activity does

A, a U.S. Income tax nonresident alien, owns awarehouse which is triple net leased to FLACO, a Florida company. Assume that A's rental activity does not constitute a U.S. trade or business , A does not make the real estate net election, and that FLACO pays A stated monthly rent of $10,000. Further assume that pursuant to the lease, FLACO pays $20,000 in annual real property taxes and $15,000 in annual mortgage interest payments, both such sums attributable to A's ownership of the warehouse. If A's rental activity constituted a U.S. trade or business, or had A made the special real estate net election under IRC 871(d), the warehouse would have depreciated at $25,000 per year. FLACO must withhold U.S. income tax of: (Explain your answer)

A)$36,000

B)$28,500

C)46,500

D)39,000

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