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Form W-8BEN North Carolina: What You Should Know

Enter your personal income for the tax year ending at the close of business June 30th.5. Your tax withholding should include the full amount of the payment.6. Complete all required fields, and check the box that describes the information to be withheld.7. Attach a completed copy of the form to your correspondence.8. Your foreign status must be determined by filing Form W-8BEN with the required information. If you are a resident of a treaty country and choose to make a payment to the United States, you must include Form W-8BEN on your tax return for the tax year you choose to make the payments (at the tax rate you chose in the first sentence of § 7702(a)(1)). If you are a national of the treaty country and are a resident of the United States at the time you complete Form W-8BEN, you are not required to include Form W-8BEN on your tax return. If your U.S. taxpayer account does not have enough funds, attach Form W-8BEN to your return. For more information, see Pub. 975.1. A. Treaty Countries and Beneficial Owners — See also the instructions for Form W-8BEN, Certificate of Foreign Status of Beneficial Owner, or for nonresident aliens, see Foreign Tax Credit. Part-Year Schedule of Payments. (Rev. July 20, 2018, W.S.) Tax Information for Persons Not Registered to File U.S. Individual Income Tax Return Income tax withholding on payments of amounts subject to withholding that is paid to a U.S. person (not an alien) or nonresident alien (as defined under section 1(a) and (b)) who claims a treaty benefit is not subject to the requirements of section 5.10 and 5.11 of this chapter — Taxpayers who are not U.S. taxpayers. This exemption is in addition to any other exemption from tax imposed by treaty. Under normal administrative practice, income tax withholding on payments to a nonresident alien is withheld as required by Article 10 of the Treaty on the Functioning of the Internal Revenue Organization of the United States of America. No withholding is provided for payments to a U.S. person. In this case, it is impossible for the nonresident alien to establish that he or she is not a foreign person for U.S. federal income tax reporting purposes. The U.S.

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