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Form 8833 Illinois: What You Should Know

U.S. income. When Form 8833 is completed, the Green Card Holder must submit the Form 8833 to the IRS by providing the electronic or paper copies to the IRS. A copy of Form 8833 must be filed along with the tax return when filing Form 8840. Filing a return is not required when filing a claim of U.S. non-residence. The tax return is due upon filing. You may also use Form 6166 to claim the waiver of U.S. tax if an IRS representative cannot verify that the Green Card Holder holds a U.S. non-resident alien status. Non-Resident alien tax filing must be done within 60 days of changing a Green Card Holder's country of citizenship. The return must be filed electronically. Form 6039–F Taxpayers must file Form 6039-F with Form 8047, Payment for U.S. Tax on Interest and Dividends. Non-U.S. Taxpayers who are subject to foreign withholding tax must complete Form 5329, Payment of Foreign Income Tax with a Claim of U.S. Tax Withholding (Form 5329-EZ) or 5529, Payment of U.S. Tax on Interest and Dividends (Form 5529-EZ). (Form 5329, Payment of Foreign Income Tax, only applies to U.S. citizens for whom withholding is not paid under the general U.S. withholding schedule). Form 5529, Foreign Tax Credit, applies to all taxpayers. The return must be filed electronically. In order to claim this credit a Green Card Holder must also pay income tax under Form 5329, Payment of Foreign Income Tax or Form 5529, Foreign Tax Credit. U.S. citizens filing a U.S. tax return who have an obligation to file Form 6166 claiming the waiver of U.S. tax due to a treaty-based status. See Publication 334 for additional information regarding filing treaty-based claims under section 6114 (section 6501(a)). Form 8813, Treaty-Based Return Position Withholding — IRS Form 8813 must be used by taxpayers to make the Treaty-Based Payment position disclosure required by section 6114 and the regulations thereunder (Regulations. U.S. taxpayers may submit Form 8813 that is submitted on Form 1040NR in order to comply with the treaty-based reporting requirements set forth in section 6115 (Regulations).

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