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Missouri online Form 1042: What You Should Know
To qualify, a foreign person must be a United States citizen, permanent resident, or national of the United States; A foreign person is not a tax resident of a country if it has a resident alien individual who is not a citizen, national, or resident alien of a country; and A foreign person for whom a certificate has been issued by the Secretary of State under 26 USC 7801 and whose nonresident alien individual is not a citizen, national, or resident alien of a country Aug 16, 2218 — Form 1040A U.S. Individual Income Tax Return for Certain Foreign Partnerships. Program Title and Description: Foreign Person's U.S. Source Income Subject to Withholding (Form 1040A) A foreign person, if the partner has a permanent address in the United States, is a tax resident of a country whose resident alien individual is not a citizen, naturalized citizen, or resident alien of that country. Aug 14, 2025 — Foreign Partner's U.S. Source Income Subject to Withholding (Form 1041) (Permanent Resident). Program Title and Description: Foreign Partner's U.S. Source Income Subject to Withholding (Form 1041) (Permanent Resident) A tax resident of a foreign country whose resident alien individual is not a citizen, naturalized citizen, or resident alien of that country, and that person is a partner of the taxpayer in a partnership. Aug 14, 2025 — Annual Return of Foreign Person's U.S. Source Income Subject to Withholding (Form 1040) (Permanent Resident) Program Title and Description: Annual Return of Foreign Person's U.S. Source Income Subject to Withholding (Form 1040) (Permanent Resident) A tax resident of a foreign country whose resident alien individual is not a citizen, naturalized citizen, or resident alien of that country, and is a partner of the taxpayer in a partnership. Aug 19, 2025 — Form 1040A U.S. Special Dividends Tax Return for Certain Foreign Partnerships. Program Title and Description: Foreign Person's U.S. Source Income Subject to Withholding (Form 1040A) (Permanent Resident) A foreign person, if the partnership has one or more permanent addresses in the United States, is a tax resident of a country whose resident alien individual is not a citizen, naturalized citizen, or resident alien of that country.
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