If a non-U.S. citizen has both U.S. income tax resident alien status and resident alien income tax status in another country which has a tax treaty with the United States, and the individual may qualify for and wishes to be treated as a U.S. income tax nonresident alien, the taxpayer must claim the treaty benefit by filing: Group of answer choices Form 8833 Form 8813 Form 1040NR Form 5471
If a non-U.S. citizen has both U.S. income tax resident alien status and resident alien income tax status in another country which has a tax treaty with the United States, and the individual may qualify for and wishes to be treated as a U.S. income tax nonresident alien, the taxpayer must claim the treaty benefit by filing: Group of answer choices Form 8833 Form 8813 Form 1040NR Form 5471
Chapter15: Choice Of Business Entity—other Considerations
Section: Chapter Questions
Problem 90TA
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