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Form 1042-T for Round Rock Texas: What You Should Know

Forms for Foreign Persons Subject to U.S. Tax Withholding Additional information available in: Form 843 — U.S. Tax Withholding for Foreign Residents of the United States Form 886 — U.S. Tax Withholding for Foreign Residents of the United States Form 823 — U.S. Tax Withholding for Foreign Persons Who Are Active Duty Military — Income from Active Duty Service of U.S.-Designated Countries/States Related Forms: Other Forms for Foreign Persons Subject to U.S. Tax Withholding Form 843 — U.S. Tax Withholding for Foreign Residents of the United States Form 886 — U.S. Tax Withholding for Foreign Residents of the United States Form 823 — U.S. Tax Withholding for Foreign Persons Who Are Active Duty Military Related Forms: Additional Forms 1042 and 1042-S U.S. tax withholding for foreign individuals (individuals, partnership and S corporation) are generally considered part of income for U.S. income tax reporting purposes. The withholding rules apply to U.S. payees for amounts that are or will be paid to a non-U.S. entity by or through the payee. A non-U.S. entity is an organization, trust, or association that is not organized under the laws of the United States or a Territory or Possession of the United States. Foreign persons residing overseas and not U.S. citizens are sometimes called foreign residents or foreign entities. The IRS uses the term “foreign resident” when these types of individuals enter into a contract of any kind with (a) a U.S. person, or (b) a U.S. company, and include both the payee and the foreign resident in the same transaction. A financial institution that is primarily owned by foreign residents is often designated as a “financial institution” under section 3932 of the Internal Revenue Code. Foreign residents may also be subject to U.S. tax withholding on certain payments directly to a designated recipient (e.g., the employer that will provide housing and other support services to a non-U.S. resident employee).  In addition to U.S. taxes withheld, both U.S. citizens and non-U.S. natives can also be subject to foreign withholding tax on earnings subject to U.S.

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