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Ann Arbor Michigan Form W-8BEN-E: What You Should Know
The United States must be notified of you new foreign entity as part of its tax obligation. The IRS will send Form W-8BEN in response to your request unless you request one of two exceptions that are listed below. Note that Form W-8BEN will be given, along with all the documentation necessary for filing your return in your own country, to the tax authorities in any country where you hold your foreign entity for tax purposes. The United States taxpayer also has the ability to request a review of certain information on the forms as a nonresident alien, such as an immigrant or a national of a country other than the United States. The exception requests, based on the foreign income tax treaty with that recipient country, can be initiated after the year in which your foreign entity was taxed by the foreign country. REQUEST FOR EXCEPTIONS — IF YOU ARE A U.F.O. TO US If you are a nonresident alien, or an alien resident alien of another country, and you hold a nonresident foreign corporation for foreign tax purposes, you must make an objection to Form 922, with respect to: 1. The provision of a Form 936. You may not request an exception to the requirements of this provision under any international tax treaty. You should also be aware that this provision may not be used as grounds for an objection and the provision is intended under current law only to provide the information required to be included on the Form 936 and not to excuse the taxpayer from additional requirements that would otherwise apply as a result of this provision. However, you should be prepared to supply proof of your nationality if requested. 2. the information on Schedule C for foreign income tax treaty information. Your objection must be based on a determination that all or part of the information you are requesting to be withheld or paid on the basis of section 6011 is not required by any tax treaty. You should supply information to substantiate your objection showing such requirements do apply. For a list of treaty countries and their respective withholding tax rates and to find the treaty that applies to your situation, see the Notice of Proposed Rule making issued on June 5, 2011, Notice of Proposed Rule making, 74 FR 738, at ¶20, and the Form W-8BEN instructions at 3. the information on your Form 1040ES, W-2, and W-4.
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