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Under Section 904, interest that would otherwise be from foreign sources is a-U.S. source income to the extent it is attributable to U.S. source income
Under Section 904, interest that would otherwise be from foreign sources is
a-U.S. source income to the extent it is attributable to U.S. source income of the payor
b-All of the above
c-paid or accrued to a U.S. shareholder of the payor
d-paid or accrued person related to a U.S. shareholder
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