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CO online Form 8840: What You Should Know

Part 2, Personal Information, provides information for your specific circumstances, including your relationship to the nonresident alien. Step 4: Part 3. U.S. Visa Type: The following two sections give you information about the foreign tax treaty and foreign residency requirements on the U.S. side as well as Step 5: Part 4. Personal information. In this section, you also will be asked to provide: Additional Information and Resources on U.S. Visas Form 8840: U.S. Visa Type: Foreign Tax Treaty Consideration Form 8840: U.S. Visa Type: Foreign Residents (Resident) Consideration  Form 8809: U.S. Visa Type: Nonresident Alien The U.S. government imposes specific foreign service tax on non-U.S. persons living abroad that is not paid by the person performing services. The foreign service tax is imposed only by the United States, and it is not paid by the person. The U.S. government imposes an additional foreign service tax on a foreign resident. For information on the foreign resident tax, please review the “Other Taxes, Fees and Costs” on page 13 of Form 8809: U.S. Visa Type: Nonresident Alien, and also the “Related Information” on p. 13 of Form 8809: U.S. Visa Type: Foreign Residents (Resident). Nonresident aliens are not subject to an additional tax on, or on account of, any service rendered by another person, as provided in paragraph (a) of section 8 of the Act by a foreign government. In determining whether a service to be performed is related to a trade or business conducted in the United States, a trade or business shall not include services to which section 9 of the Act applies or to which this section is applicable. However, the Department has found that a U.S. person (i.e., you, if you were engaged in the business). Who has received a nonresident alien individual's tax refund for services performed in the absence and after the date the individual was issued a nonresident alien identification number may be considered to have acted in the performance of services or otherwise to be a U.S. person for purposes of this Act. If a taxpayer is deemed to be engaged in a U.S. trade or business, the taxpayer may be subject to such Act and the regulations pertaining to such Act.

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