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Las Vegas Nevada Form 8288: What You Should Know
Form 8288-B may be used to transfer a nonresident alien's interest in real property to a U.S. person on a nonresident alien's behalf only if the foreign person is a U.S. person. A Form 8288-B Application for Withholding on Dispositions by Foreign Persons of U.S. Real Property Interests, includes a statement of the amount to be withheld in the case of a transfer of real property interest to a U.S. person on a nonresident alien's behalf. The IRS Office of International Affairs will notify the appropriate U.S. tax authority when more information is required for a nonresident alien to use Form 8288-B. The Form 8288-B is available at the IRS offices as well as the National Foreign Income Taxpayer Advocate (formerly known as the Internal Revenue Service International Resident Counsel) About IRS Form 1120, Application for U.S. Withholding — IRS An important tax return requirement is filing the U.S. withholding on an amount that equals the foreign purchase price or the foreign sale price of a real property interest. Form 1120 and Form 8288 are used to comply with this requirement. Form 8288-A — Statement of Withholding on — IRS Form 8288-A is used to file for and collect the IRS required withholding certificates for dispositions by a foreign person of U.S. real property interests. Form 8288-A does not include information about the amounts required to be paid on the acquisition of a U.S. real property interest from a foreign person. The IRS office that handles Form 8288 will notify the appropriate U.S. tax authority when it no longer requires additional information. The amount withheld is reported and paid using Form 8288-B. There are two required items on Form 8288-B — a statement of the amount of withholding on the disposition, and an agreement by the transferee to pay the amount of withholding in the tax year that follows. The amount that may be withheld from a transfer of a non-resident alien's interest in a U.S. real property interest to another non-resident alien is limited to one or more of the following. U.S. withholding on the acquisition of a U.S. real property interest from a foreign person. U.S. withholding on the transfer of a U.S.
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