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Form 3520-A Irvine California: What You Should Know

Use Form 3520-C to send Form 3520-A in connection with the filing of Form 3520. (Example: Form 3520-A for Form 3520-C) Form 3520-C has already been filed with the IRS;  it should not be filed again. (Example: Form 3520-A) Notify us if you have any changes to your address or information. Required Information Name of Foreign Trust Name Amount of All or Part of the Trust Asset Held by the Foreign Trust at the Closing Closing Closing Date, or at any Time Throughout the Tax Year and Subsequent Years Date of the Closing Date Include Form W-8BEN on Form 3520-A if the Form 3520 was filed to change the U.S. owners. Required information for all trusts included on Form 3520-A Include a description of the relationship between you and U.S. citizens or corporations in your form The trust will hold your real property, personal property, and other property of value to you and will not make, receive, or attempt to receive payments from you or your family members or any other persons, including your spouses. The trust will not be operated for commercial or illegal purposes or for the benefit of (your) relatives, friends, or persons who have business dealings with you, unless you own a percentage in the trust. Include a statement that provides: · that the trust is subject to applicable Federal income taxes or local property taxes · that the U.S. holders of the trust are U.S. persons, · that the trust's net income will be permanently reinvested in its non-U.S. assets · that the trust will maintain records that will allow you to track income and deductions on Form 1040-S, Schedule A, and Schedule K, and will pay any Federal, state, or local income (if any) or real or personal property taxes owed here or abroad. The trust will also report to U.S. tax authorities the gross income of the U.S. holder(s) that you may elect to claim for Federal withholding and tax under the Internal Revenue Code, or the trust will include those gross income when calculating the trust's U.S. taxable income for purposes of determining whether the trust is required by the Internal Revenue Code to pay tax on its U.S.

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