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.