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IRS 1120 2025 Form Renton Washington: What You Should Know

US payments to residents of countries other than the U.S. are now targeted and required to report their income on forms and to use withholding agents located outside the US to report withholding on the income, ′withholding in the local country. The new campaign is being rolled out to address the widespread use of withholding agents located abroad by foreign-owned businesses. Forms 1042 and 1042-S (Form 1099-MISC) were made obsolete due to several reforms to the IRS code that resulted in increased cooperation between the IRS and foreign countries on foreign tax matters. Forms 1042 and 1042-S (Form 1098-INT and Form 1098-TIN) were made obsolete due to several reform changes to the IRS code that resulted in increased cooperation between the IRS and foreign countries on foreign tax matters. Forms 1042 and 1042-S (Form 1099-MISC) have served the U.S. payment culture since 1965 (see “The Last Form”). However, the IRS has made more effective use of international compliance since the tax year 2012. As part of the IRS international cooperation program, the IRS is providing IRS Form W-8BEN to foreign countries for information reporting tax payments for the U.S. payment culture to help foreign countries address U.S. tax compliance through more effective cooperation. For more information and a list of foreign countries with U.S. withholding form addresses and telephone numbers, please go to The IRS announced in July 2025 that in September 2018, an additional 8 new countries will be added to our list of countries with W-8BEN addresses. The IRS has established a National Center for IRS Enrollment and Training and will soon be adding more training classes as we build upon our existing training courses for our employees on IRS.gov. “We are committed to maintaining the U.S. payments culture by increasing international cooperation, by working with our international partners and by continuing to provide the educational tools that our employees need to comply with the requirements.” IRS Chief Counsel and Deputy Assistant Secretary, Chief Counsel for Enforcement, J. Russell George, and Chief of Staff and Interim Chief Counsel, Jeffrey W.

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