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SOI Tax Stats - Foreign Recipients of U.S. Partnership Income Study Metadata

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Under the Tax Reform Act of 1986, U.S. partnerships are required to withhold income tax on "effectively connected taxable income" deemed allocable to foreign partners. The U.S. partnership must file a Form 8805, Foreign Partner's Information Statement of Section 1446 Withholding Tax, to show the amount of effectively connected taxable income and the total tax credit allocable to the foreign partner for the partnership's tax year.  Foreign partners must attach this form to their U.S. income tax returns to claim a withholding credit for their shares of the Section 1446 tax withheld by the partnership.

This page provides additional information about data produced in SOI's Foreign Recipients of U.S. Partnership Income Study. Please click on a link below to get started.

Selected Terms and Concepts Data Sources and Limitations

Please visit Foreign Recipients of U.S. Partnership Income Statistics for data tables and articles from the study.

Page Last Reviewed or Updated: 29-Jan-2014