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Missouri online Form 8288-B: What You Should Know

S.real property interests by foreign persons.  Form 8288-B is being used by the IRS to apply to reduce or eliminate withholding on disposal of U.S. real property interests by foreign persons. The following is an overview of Form 8828-B, Application for Withholding Certificate to Reduce or Eliminate withholding on dispositions of U.S. real property interests by foreign persons. Notice to the Filing Person in this Form The IRS has reviewed your request under the provisions of the provisions requiring a written request before issuing a Form 8828-B. The notice you received in the mail may contain a notice that your request is not to be issued an automatic withholding certificate (Form 8288A) and a notice that, if you do not respond within 30 days, the IRS will close your tax return without refund of any overpayment(s) or interest due, and that you will not be allowed to take any further action in response to this notice. You may take your action at any time following receipt of this notice by mail, in writing if there is an applicable statute of limitations for filing a timely taxpayer claim with respect to the return. You should take action promptly, however. Application for Withholding Certificate to Reduce or Eliminate withholding on Dispositions of Property Interests by Foreign Persons; (1) (2) (a) (c) (d) A foreign person who (1) possesses real property interests, or has a personal interest in the real property interests of one or more foreign persons, or (2) has engaged in the activities set forth in Part A by a qualified person (including a trust, a partnership, or a corporation) is treated as having a U.S. resident owner for purposes of applying the withholding provisions applicable to any United States source of income of the foreign person. Foreign persons are personal interests only if (1) a person who owns a U.S. residence, but has only foreign interests, owns such interests through one or more foreign persons, or (2) a foreign person who does not have any U.S. residence, but has a personal interest in the property interests of a qualified person owned by a U.S. resident.

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