This document discusses a case involving an individual's residential status for tax purposes. The individual spent 183 days in Country A for work but maintained a home in Country B where his family lived. While he met the physical presence test for residency in Country A, he had closer personal and economic ties to Country B. Determining the individual's true residential status was unclear based on the facts presented and required an analysis of the circumstances as a whole.
This document discusses a case involving an individual's residential status for tax purposes. The individual spent 183 days in Country A for work but maintained a home in Country B where his family lived. While he met the physical presence test for residency in Country A, he had closer personal and economic ties to Country B. Determining the individual's true residential status was unclear based on the facts presented and required an analysis of the circumstances as a whole.
This document discusses a case involving an individual's residential status for tax purposes. The individual spent 183 days in Country A for work but maintained a home in Country B where his family lived. While he met the physical presence test for residency in Country A, he had closer personal and economic ties to Country B. Determining the individual's true residential status was unclear based on the facts presented and required an analysis of the circumstances as a whole.