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IRS Clarifications Shift Withholding Risk for Foreign-Owned U.S. Companies

VALIS International has published its latest article covering U.S. withholding tax implications for foreign-owned company structures, which is aimed primarily at Non-U.S. founders and international service providers. The article is available for viewing in full at https://medium.com/@dgendron1997/why-the-wrong-u-s-company-structure-can-trigger-unnecessary-withholding-for-non-u-s-founders-966eefcd9c6e

-- An article covering the subject of 'U.S. withholding tax implications for foreign-owned company structures' entitled 'Why the Wrong U.S. Company Structure Can Trigger Unnecessary Withholding for Non-U.S. Founders' has now been released and published by VALIS International, an authority website in the International business and cross-border taxation niche. The article brings to light fascinating information, and especially for Non-U.S. founders, international service providers, and business advisers who work with foreign-owned U.S. companies and cross-border income structures. . Non-U.S. founders and international service providers and anybody else who's interested in U.S. withholding tax implications for foreign-owned company structures can read the entire article at https://medium.com/@dgendron1997/why-the-wrong-u-s-company-structure-can-trigger-unnecessary-withholding-for-non-u-s-founders-966eefcd9c6e

Because Recent clarifications have changed how withholding applies to foreign-owned companies, making entity structure and documentation more consequential than many founders previously assumed. , perhaps one of the most interesting, or relevant pieces of information to Non-U.S. founders and international service providers, which is included within the article, is that Foreign-owned pass-through U.S. companies may be required to provide a W-8BEN-E instead of a W-9, which can trigger withholding if the structure is not aligned correctly. .

The article has been written by David Gendron, who wanted to use this article to bring particular attention to the subject of U.S. withholding tax implications for foreign-owned company structures. They feel they may have done this best in the following extract:

'Recent clarification around Form W-9 eligibility has highlighted how foreign ownership and tax classification can affect U.S. withholding outcomes for non-U.S. founders. '

VALIS International now welcomes comments and questions from readers, in relation to they article. David Gendron, Founder at VALIS International has made a point of saying regular interaction with the readers is so critical to running the site because reader feedback helps surface practical questions and real-world scenarios related to cross-border taxation and compliance .

In discussing the article itself and its development, David Gendron said:

"The topic continues to generate questions among non-U.S. founders as documentation rules and withholding treatment evolve. ."

Anyone who has a specific question or comment about this article, or any article previously published on the site, is welcome to contact VALIS International via their website at https://valisinternational.com/

Once again, the complete article is available to in full at https://medium.com/@dgendron1997/why-the-wrong-u-s-company-structure-can-trigger-unnecessary-withholding-for-non-u-s-founders-966eefcd9c6e.

Contact Info:
Name: David Gendron
Email: Send Email
Organization: VALIS International
Address: 501 Silverside Rd #105, Wilmington, Delaware 19809, United States
Phone: +1-302-792-0175
Website: https://valisinternational.com/

Source: PressCable

Release ID: 89179139

If there are any problems, discrepancies, or queries related to the content presented in this press release, we kindly ask that you notify us immediately at error@releasecontact.com (it is important to note that this email is the authorized channel for such matters, sending multiple emails to multiple addresses does not necessarily help expedite your request). Our responsive team will be available round-the-clock to address your concerns within 8 hours and take necessary actions to rectify any identified issues or support you with press release takedowns. Ensuring accurate and trustworthy information is our unwavering commitment.

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