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Printable Form W-8BEN Broken Arrow Oklahoma: What You Should Know
Section 3-3. Foreign Status with Respect to United States Tax on Income; U.S. Foreign Corporation. 4. (a) The foreign status of any person is established under this chapter and § 7404(d) by the person's: (1) Citizenship (2) Citizenship of the United States or any State or Possession thereof. (3) Citizenship of the United States or of any possession of the United States or any State or possession thereof. (4) Citizenship of any possession or territory of the United States or of any such State or possession thereof. (5) Citizenship of any foreign government or the U.S. government that has made an agreement with the United States regarding the recognition of its laws and regulations on personal status; and Section 4. The foreign status of any person determined by a Form W-8BEN to be a beneficiary of a trust in which the principal is a United States national, or that holds a U.S.- or foreign-born beneficiary as a qualifying child, shall be determined as described in section 7703(a)(2)(C) (relating to U.S. status) or under an agreement with the United States regarding the recognition of its laws and regulations of the foreign income tax. 5. Except as described in section 7703(a)(2), (b), or (c), a foreign corporation, foreign partnership, or foreign estate may receive U.S. source dividends without U.S. federal income tax on those dividends if both of the fol lows: (1) All benefits of U.S. federal income tax apply to the domestic taxable income of the foreign corporation and all dividends received are properly subject to U.S. federal income tax. (2) Substantially all dividends of a controlled foreign corporation are “subpart F” income of the domestic corporation and, unless the corporation is a bona fide resident of the United States and the controlled foreign corporation can reasonably claim this status, all dividends and gains from the disposition of property which are received under a trust for the benefit of an individual are treated for the United States federal income tax purposes as dividends from the foreign corporation by the U.S. mayor (the trust) and treated as income of the foreign corporation by the foreign trust. 6.
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