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Form W-8BEN Carmel Indiana: What You Should Know

S. Person without regard to whether the U.S. person is a resident of the United States, as defined  in Section 951 of Title 28, of the United States Code. IRS Pub. 547, U.S. Tax Guide for Aliens, is the ultimate authority on the U.S. tax rules applicable to resident aliens and nonresident aliens. You may use any version of the Internal Revenue Service Guide for U.S. Taxation of Owners and Partners of Foreign Entities in Publication 544. If you have a valid Form W-8BEN and no-value distributions are made to a U.S. person, the U.S. person must enter “No Value” in the box on Form 1040, line 31. A resident corporation must include (or deduct) its basis in the shares of the corporation (including the adjusted basis of such shares if adjusted) because it is a U.S. person in order  to allocate gain or loss to the stockholders in the year of the transaction. IRS Publication 1871 provides a simplified process for determining the gain or loss allocable to a U.S. person. You must determine the basis of U.S. property owned by a U.S. person, on the date it is sold or exchanged by the person, or in subsequent periods, by property purchased by the person or by property owned by the person through the exercise of U.S. option or statutory warrants or options or rights to purchase securities issued by a controlled foreign corporation in a transaction in which a U.S. person is a U.S.

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