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Form W-8BEN-E online West Covina California: What You Should Know

The form allows a US entity to claim foreign tax credits to offset American tax liability. These credits provide a non-refundable tax credit of up to 2,500 that is generally available for five years. The THE provides for a deduction of US tax and foreign withholding payments by calculating the foreign tax credit and deducting this amount from your personal US tax liability. This allows US corporations to avoid reporting US profits overseas, thereby reducing their US tax liability and their US corporate income tax filing requirements. The THE must be filed by the foreign corporation by the latter of 1 January of the year following the calendar year in which the foreign company files Form 10-K or 1 January of the year following the calendar year in which the foreign company reports its US results. The foreign corporation is encouraged to file late and to use IRS e-file to file the form and provide a copy to shareholders. Form 10-K must be filed not later than 60 days after the end of the tax year in which it is required. Also, Form 10-BIN/BIN-E may have to be filed in the calendar year of the filing. Also, if for a business activity in the current year, the foreign corporation paid a foreign tax (for that year), a Form 10-BIN/BIN-E may be required as well, as a result of this tax reporting requirement on the first page of the Form 10-BIN/BIN-E and on Schedule D. In most cases, Form W-8BEN-E is to be filed by the foreign corporation. For more information about the W-8BEN-E, please visit the US Department of Commerce's Foreign Corporations section. See the US Department of Commerce's Foreign Corporations section to find the appropriate filing location. This certification document is only for the US entity (for that US taxpayer) in the case of a foreign entity that is reporting a US tax for a period of one or more years ending in 2025 or prior tax years. If you are an eligible foreign corporation and are filing a Form W-8BEN-E or a Form 10-BIN/BIN-E for a foreign entity that is reporting a United States tax on a period ending in 2025 or prior tax years, see section 663.

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