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In determining whether or not an alien is domiciled in the U.S. for U.S. estate, gift, and generation-skipping transfer tax purposes, the factors to be
In determining whether or not an alien is domiciled in the U.S. for U.S. estate, gift, and generation-skipping transfer tax purposes, the factors to be considered are in part similar to those that are considered when determining an alien's "closer connections" under the closer connection tax home exception to the U.S. income tax resident alien substantial presence test.
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