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1999 Department of the Treasury

Internal Revenue Service

Instructions for Forms 8804,


8805, and 8813
Section references are to the Internal Revenue Code unless otherwise noted.

Paperwork Reduction Act Notice. We ask for the information on these forms to carry partner in any tax year must file Forms
out the Internal Revenue laws of the United States. You are required to give us the 8804 and 8805 whether or not
information. We need it to ensure that you are complying with these laws and to allow distributions were made during the
us to figure and collect the right amount of tax. partnership's tax year. The partnership
You are not required to provide the information requested on a form that is subject may designate a person to file the forms.
to the Paperwork Reduction Act unless the form displays a valid OMB control number. The partnership, or person it designates,
Books or records relating to a form or its instructions must be retained as long as their must file these forms even if the
contents may become material in the administration of any Internal Revenue law. partnership has no withholding tax liability
Generally, tax returns and return information are confidential, as required by section under section 1446.
6103. Publicly traded partnerships must file
The time needed to complete and file these forms will vary depending on individual these forms only if they have elected to
circumstances. The estimated average times are: pay section 1446 withholding tax based
on effectively connected taxable income
Form 8804 8805 8813 allocable to its foreign partners. Those
that do not make this election and instead
Recordkeeping 59 min. 59 min. 26 min. withhold the tax on distributions to their
Learning about the foreign partners should see Publicly
law or the form 57 min. 54 min. 49 min. Traded Partnerships on page 4.
Preparing the form 31 min. 17 min. 16 min.
When To File
Copying, assembling, and
sending the form to the IRS 20 min. 17 min. 10 min. Forms 8804 and 8805
If you have comments concerning the accuracy of these time estimates or Generally, file on or before the 15th day
suggestions for making these forms simpler, we would be happy to hear from you. You of the 4th month following the close of the
can write to the Tax Forms Committee, Western Area Distribution Center, Rancho partnership's tax year. However, a
Cordova, CA 95743-0001. DO NOT send the tax forms to this address. Instead, see partnership that consists entirely of
Where To File below. nonresident alien partners must file on or
before the 15th day of the 6th month
following the close of the partnership's tax
Photographs of Missing effectively connected taxable income and year.
Children the total tax credit allowed to the foreign File Forms 8804 and 8805 separately
partner for the partnership's tax year. from Form 1065, U.S. Partnership Return
The Internal Revenue Service is a proud File a separate Form 8805 for each of Income, and Form 1065-B, U.S. Return
partner with the National Center for foreign partner even if no section 1446 of Income for Electing Large Partnerships.
Missing and Exploited Children. withholding tax was paid. Attach Copy A If you need more time, you may file
Photographs of missing children selected of each Form 8805 to the Form 8804 filed Form 2758, Application for Extension of
by the Center may appear in instructions with the IRS. Time To File Certain Excise, Income,
on pages that would otherwise be blank. Foreign partners must attach Form Information, and Other Returns, to
You can help bring these children home 8805 to their U.S. income tax returns to request an extension of time to file Form
by looking at the photographs and calling claim a credit for their shares of the 8804. Generally, an extension will not be
1-800-THE-LOST (1-800-843-5678) if you section 1446 tax withheld by the granted for more than 90 days. If you
recognize a child. partnership. A foreign partnership that need more time, file a second Form 2758
receives a Form 8805 should see Tiered for an additional 90-day extension. The
General Instructions Partnerships on page 4. Any U.S. total extension may not be for more than
person erroneously subjected to the 6 months except for taxpayers who are
Purpose of Forms withholding tax would also receive Form abroad.
8805 from a partnership and should
Use Forms 8804, 8805, and 8813 to pay attach it to his or her income tax return. Form 8813
and report section 1446 withholding tax Use Form 8813, Partnership File on or before the 15th day of the 4th,
based on effectively connected taxable Withholding Tax Payment (Section 1446), 6th, 9th, and 12th months of the
income allocable to foreign partners. to pay the withholding tax under section partnership's tax year for U.S. income tax
Use Form 8804, Annual Return for 1446 to the United States Treasury. Form purposes.
Partnership Withholding Tax (Section 8813 must accompany each payment of
1446), to report the total liability under section 1446 tax made during the Where To File
section 1446 for the partnership's tax partnership's tax year.
year. Form 8804 is also a transmittal form File Forms 8804, 8805, and 8813 with:
for Form(s) 8805. Internal Revenue Service Center,
Who Must File Philadelphia, PA 19255.
Use Form 8805, Foreign Partner's
Information Statement of Section 1446 All partnerships with effectively connected
Withholding Tax, to show the amount of gross income allocable to a foreign

Cat. No. 10393W


Taxpayer Identifying Number withholding. If a partnership relies in good a properly executed power of attorney,
faith on the certification, but it is later provided the power of attorney
To insure proper crediting of the determined that the certification was false, accompanies the certification.
withholding tax when reporting to the IRS, the partnership will not be held liable for How long to keep the certifications. A
a partnership must provide a U.S. payment of the tax, any applicable partnership must keep a certification of
taxpayer identifying number (TIN) for penalties, or interest. A certification that nonforeign status until the end of the 5th
each foreign partner. The partnership satisfies the requirements of these tax year after the last tax year in which the
should notify any of its foreign partners instructions will also satisfy the partnership relied on the certification.
without such a number of the necessity requirements for a certificate of Special rule for widely held
of obtaining a U.S. identifying number. nonforeign status under section 1445. partnership. In addition to relying on a
An individual's identifying number is the Once a partnership learns that the certification of nonforeign status, a widely
individual's social security number (SSN) certification is false, it will no longer be held partnership (a partnership that has
or individual taxpayer identification entitled to rely on that certification. For more than 200 partners, including a
number (ITIN). Any other partner's this purpose, the knowledge of any publicly traded partnership) may rely on
identifying number is its U.S. employer general partner will be imputed to the the information provided to it by partners
identification number (EIN). partnership to cause a withholding on a Form 1001, Ownership, Exemption,
Certain aliens who cannot obtain SSNs liability. The knowledge of one of its or Reduced Rate Certificate; Form W-8,
can now apply for ITINs on Form W-7, limited partners will not be imputed to a Certificate of Foreign Status; Form
Application for IRS Individual Taxpayer partnership based solely on that partner's W-8BEN, Certificate of Foreign Status of
Identification Number. status as a limited partner. For a limited Beneficial Owner for United States Tax
liability company or other entity classified Withholding; or Form W-9, Request for
Requirement To Make as a partnership for Federal income tax Taxpayer Identification Number and
Withholding Tax Payments purposes, any member with authority to Certification.
manage or bind the entity is treated as a Also, a widely held partnership may rely
A foreign or domestic partnership that has general partner. on a certification under penalties of
effectively connected taxable income Also, the partnership will be liable under perjury from a nominee about the
allocable to a foreign partner must pay a section 1461 for any failure to pay the nonforeign status of partners owning
withholding tax equal to the applicable withholding tax under section 1446 for the partnership interests through the
percentage of the effectively connected tax year in which it learned that the nominee. No particular form is required for
taxable income that is allocable to its certification is false. However, the this certification, but it should identify the
foreign partners. However, this partnership will not be liable for penalties partner for whom the certification is made
requirement does not apply to a for failure to make timely payments of and indicate the basis for the certification.
partnership treated as a corporation under installments of section 1446 withholding When making a certification, a nominee
the general rule of section 7704(a). tax that were due prior to the time it may also rely on a certification of
Effectively connected taxable income is learned that the certification was false. nonforeign status or on information
defined on page 3. Duration of certification. A partnership provided by Forms 1001, W-8, W-8BEN
may rely on a partner's certification of or W-9. A nominee and a partnership may
Withholding Agents nonforeign status until the earliest of the not rely on any of those forms after the
General partners and limited liability following: date that the forms must be re-executed,
company members are jointly and 1. The end of the 3rd year after the tax nor on a certification of nonforeign status
severally liable as withholding agents for year of the partnership during which the based on an election under section 897(i).
the partnership. For ease of reference, certification was obtained. A widely held partnership that relies in
these instructions refer to various 2. The date the partnership receives good faith on a certification of nonforeign
requirements applicable to withholding notice from the partner that it has become status or Forms 1001, W-8, W-8BEN or
agents as requirements applicable to a foreign person. W-9 in determining nonforeign status will
partnerships themselves. 3. The date the partnership learns that not be held liable for payment of the tax,
the partner is, or has become, a foreign any applicable penalties, or interest.
Determining If a Partner Is a person. However, if a partnership learns that any
of these forms contain false information,
Foreign Person Form of certification. No particular form
it may no longer rely on the form and will
nor any particular language is required for
A partnership must determine if any certification of nonforeign status. be liable under section 1461 for any
partner is a foreign person subject to However, the certification must: failure to pay the withholding tax under
section 1446. Under section 1446, a section 1446 for the tax year in which it
foreign person is a nonresident alien 1. State that the partner is not a obtained that knowledge. The partnership
individual, foreign corporation, foreign foreign person. will not be liable for penalties for failure to
partnership, or foreign trust or estate. A 2. State the partner's name, U.S. make timely payments of installments of
partnership may determine a partner's taxpayer identifying number, and home the section 1446 withholding tax that were
status by relying on a certification of address (for individuals) or office address due prior to the time it learned that the
nonforeign status or by any other means. (for entities). information it properly relied on was false.
3. State that the partner will notify the For a widely held partnership, the
Certification of Nonforeign Status partnership within 60 days of a change to documentation used to determine the
In general, a partnership may determine foreign status. nonforeign status of a partner must be
that a partner is not a foreign person by 4. Be signed by or for the partner kept until the end of the 5th tax year
obtaining a certification of nonforeign under penalties of perjury. following the last tax year in which the
status from the partner. A partnership that A certification of nonforeign status must partnership properly relied on the
has obtained this certification may rely on be verified as true and signed under documentation.
it to establish the nonforeign status of a penalties of perjury by a responsible
partner. See below. corporate officer for a corporation that is Use of Means Other Than
Effect of certification. Generally, a a partner, by a general partner for a Certification
partnership that has obtained a partnership that is a partner, and by a A partnership is not required to obtain a
certification of nonforeign status trustee, executor, or equivalent fiduciary certification of nonforeign status. It may
according to the rules in these instructions for a trust or estate that is a partner. A rely on other means to learn the
may rely on the certification to determine certification of nonforeign status may also nonforeign status of the partner. But if the
that the partner is not subject to be signed by a person authorized under

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partnership relies on other means and 743 according to the partnership's under the requirements of sections 1441
erroneously determines that the partner election under section 754. Also, a and 1442 and their regulations.
was not a foreign person, the partnership partnership's effectively connected
will be held liable for payment of the tax, taxable income is not allocable to a Real Property Gains
any applicable penalties, and interest. A foreign partner to the extent the amounts Domestic partnerships. Domestic
partnership is not required to rely on other are exempt from U.S. tax for that partner partnerships subject to the withholding
means to determine the nonforeign status by a treaty or reciprocal agreement, or a requirements of section 1446 are not also
of a partner and may demand a provision of the Code. subject to the payment and reporting
certification of nonforeign status. requirements of section 1445(e)(1) and its
Amount of Withholding Tax regulations for income from the
Effectively Connected disposition of a U.S. real property interest.
Figuring the Tax Payments A domestic partnership's compliance with
Taxable Income the requirement to pay a withholding tax
Under section 1446, a partnership must under section 1446 satisfies the
Definition make four installment payments of requirements under section 1445(e)(1) for
“Effectively connected taxable income” is withholding tax during the tax year. dispositions of U.S. real property
the excess of the gross income of the Amount of each installment payment interests. However, a domestic
partnership that is effectively connected of withholding tax. In general, the partnership that would otherwise be
under section 864(c), or treated as amount of a partnership's installment exempt from section 1445 withholding by
effectively connected with the conduct of payment is equal to the sum of the operation of a nonrecognition provision
a U.S. trade or business, over the installment payments for each of the must continue to comply with the
allowable deductions that are connected partnership's foreign partners. For a requirement of Regulations section
to such income. Pub. 519, U.S. Tax foreign partner, the amount of an 1.1445-5(b)(2).
Guide for Aliens, has a lengthy discussion installment of the section 1446 Foreign partnerships. A foreign
of effectively connected taxable income. withholding tax can be figured by applying partnership subject to withholding under
Figure this income with the following the principles of section 6655(e)(2). To do section 1445(a) during a tax year will be
adjustments: so, use the worksheet on page 6. allowed to credit the amount withheld
1. Paragraph (1) of section 703(a) Alternatively, each installment payment under section 1445(a) against its liability
does not apply. during the tax year may be made in an to pay the section 1446 withholding tax for
2. The partnership is allowed a amount equal to 25% of the withholding that year.
deduction for depletion of oil and gas tax that would be payable on the amount
wells, determined without regard to of effectively connected taxable income Reporting to Partners
sections 613 and 613A. allocable to foreign partners for the prior
year if the following three conditions are When making a payment of withholding
3. The partnership may not take into tax to the IRS under section 1446, a
met:
account items of income, gain, loss, or partnership must notify all foreign partners
deduction allocable to any partner that is 1. The prior tax year consisted of 12
months. of their allocable shares of any section
not a foreign partner. 1446 tax paid to the IRS by the
4. The partnership may not deduct 2. The partnership filed Form 1065 for
the prior year. partnership. The partners use this
any net operating loss carryovers or information to adjust the amount of
charitable contributions. 3. The amount of effectively estimated tax that they must otherwise
A partnership's effectively connected connected taxable income for the prior pay to the IRS.
taxable income includes partnership year was not less than 50% of the
effectively connected taxable income on A partnership must annually provide
income subject to a partner's election foreign partners with a copy of Form 8805
under section 871(d) or 882(d) (election the current year's Form 8804.
even if no section 1446 withholding tax is
to treat real property income as income Applicable percentage. For partners paid. Send Form 8805 to the foreign
connected with a U.S. business). It also taxed as corporations, the section 1446 partner by the due date of the partnership
includes any partnership income treated applicable percentage is 35%. For return (including extensions).
as effectively connected with the conduct partners not taxable as corporations (e.g.,
of a U.S. trade or business under section partnerships, individuals, estates), the
897 (disposition of investment in U.S. real applicable percentage is 39.6%. Interest and Penalties
property), and other items of partnership When to make the payment. Make Interest and penalties are described
income treated as effectively connected payments of the withholding tax under below. If the partnership files Form 8804
under other provisions of the Internal section 1446 with Form 8813 by its due or Forms 8805 late, fails to furnish correct
Revenue Code, regardless of whether date during the tax year of the partnership Forms 8805, or fails to pay the tax when
those amounts are taxable to the partner. in which the income is earned. due, it may be liable for penalties and
Generally, pay any additional amounts interest unless it can show that failure to
Amount Allocable to Foreign due when filing Form 8804. However, if file or pay was due to reasonable cause
Partners the partnership files Form 2758 to request and not willful neglect.
The amount of a partnership's effectively an extension of time to file Form 8804,
pay the balance of section 1446 Interest
connected taxable income for the
partnership's tax year allocable to a withholding tax estimated to be due with Interest is charged on taxes not paid by
foreign partner under section 704 equals Form 2758. the due date, even if an extension of time
(a) the foreign partner's distributive share to file is granted. Interest is also charged
of effectively connected gross income of Coordination With Other on penalties imposed for failure to file,
the partnership for the partnership's tax Withholding Rules negligence, fraud, and substantial
year that is properly allocable to the understatements of tax from the due date
partner under section 704, minus (b) the Interest, Dividends, etc. (including extensions) to the date of
foreign partner's distributive share of Fixed or determinable, annual or payment. The interest charge is figured
deductions of the partnership for that year periodical income subject to tax under at a rate determined under section 6621.
that are connected with that income under section 871(a) or 881 is not included in
section 873 or section 882(c)(1). This the partnership's effectively connected Late Filing of Form 8804
income is figured to take into account any taxable income under section 1446. A partnership that fails to file Form 8804
adjustments to the basis of the However, these amounts are when due (including extensions of time to
partnership property described in section independently subject to withholding file) generally may be subject to a penalty

Page 3
of 5% of the unpaid tax for each month under section 1446, but who fails to do this, the partnership must comply with the
or part of a month the return is late, up to so, may be subject to a civil penalty under payment and reporting requirements of
a maximum of 25% of the unpaid tax. The section 6672. The civil penalty is equal these instructions by the date on which
penalty will not apply if the partnership to the amount that should have been Form 8804 is due for the partnership's
can show reasonable cause for filing late. withheld and paid over. first tax year. Also, the partnership must
If the failure to timely file is due to attach a statement to its first Form 8804
reasonable cause, attach an explanation Other Penalties indicating that it is a publicly traded
to Form 8804. Penalties can also be imposed for partnership that is electing not to withhold
negligence, substantial understatement on distributions. Once made, the election
Late Filing of Correct Form 8805 of tax, and fraud. See sections 6662 and may be revoked only with IRS consent.
A penalty may be imposed for failure to 6663.
file each Form 8805 when due (including Tiered Partnerships
extensions). The penalty may also be Treatment of Partners The term “tiered partnership” describes
imposed for failure to include all required
information on Form 8805 or for furnishing A partnership's payment of section 1446 the situation in which a partnership owns
incorrect information. The penalty is withholding tax on effectively connected an interest in another partnership. The
based on when a correct Form 8805 is taxable income allocable to a foreign latter is a “subsidiary partnership.” A
filed. The penalty is: partner relates to the partner's U.S. partnership that directly or indirectly owns
income tax liability for the partner's tax a partnership interest in a subsidiary
● $15 per Form 8805 if the partnership
year in which the partner is subject to U.S. partnership is allowed a credit against its
correctly files within 30 days; maximum own section 1446 liability for any section
tax on that income.
penalty of $75,000 per year ($25,000 for 1446 tax paid by the subsidiary
a small business). A “small business” has Amounts paid by the partnership under
section 1446 on effectively connected partnership for that partnership interest.
average annual gross receipts of $5
million or less for the most recent 3 tax taxable income allocable to a partner may A partnership that is a direct or indirect
years (or for the period of time the be claimed as a credit under section 33. partner in a subsidiary partnership and
business has existed, if shorter) ending The partner may not claim an early refund that has had section 1446 tax payments
before the calendar year in which the of withholding tax paid under section made on its behalf will receive a copy of
Forms 8805 were due. 1446. Form 1042-S or Form 8805. The
Amounts paid by a partnership under partnership that is the direct or indirect
● $50 per Form 8805 if the partnership
section 1446 for a partner are to be partner must in turn file these forms with
files more than 30 days after the due date its Form 8804 and treat the amount
or does not file a correct Form 8805; treated as distributions made to that
partner on the earliest of the following: withheld by the subsidiary partnership as
maximum penalty of $250,000 per year a credit against its own liability to withhold
($100,000 for a small business). 1. The day on which this tax was paid
by the partnership. under section 1446. The partnership that
If the partnership intentionally is a direct or indirect partner must also
disregards the requirement to report 2. The last day of the partnership's tax provide a copy of the forms it receives to
correct information, the penalty per Form year for which the amount was paid. its partners, along with the information
8805 is increased to $100 or, if greater, 3. The last day on which the partner described in Reporting to Partners on
10% of the aggregate amount of items owned an interest in the partnership page 3. These statements and forms will
required to be reported, with no maximum during that year. enable those partners to obtain
penalty. For more information, see A partner that wishes to claim a credit appropriate credit for tax withheld under
sections 6721 and 6724. against its U.S. income tax liability for section 1446.
amounts withheld and paid over under
Failure To Furnish Correct Forms section 1446 must attach Copy C of Form
8805 to Recipient 8805 to its U.S. income tax return for the
A penalty of $50 may be imposed for each tax year in which it claims the credit.
Specific Instructions
failure to furnish Form 8805 to the
recipient when due. The penalty may also Publicly Traded Partnerships Address
be imposed for each failure to give the Include the suite, room, or other unit
recipient all required information on each A “publicly traded partnership” is any
partnership whose interests are regularly number after the street address. If the
Form 8805 or for furnishing incorrect Post Office does not deliver mail to the
information. The maximum penalty is traded on an established securities
market (regardless of the number of its street address and the partnership (or
$100,000 for all failures to furnish correct withholding agent) has a P.O. box, show
Forms 8805 during a calendar year. partners). However, it does not include a
publicly traded partnership treated as a the box number instead of the street
If the partnership intentionally corporation under the general rule of address.
disregards the requirement to report section 7704(a). If the partnership has a foreign address,
correct information, the penalty is enter the number and street, city, province
increased to $100 or, if greater, 10% of A publicly traded partnership that has
effectively connected income, gain, or or state, and the name of the country.
the aggregate amount of items required Follow the foreign country's practice in
to be reported and the $100,000 loss, generally must withhold tax at a rate
of 39.6% on distributions made to foreign placing the postal code in the address.
maximum penalty does not apply. For Do not abbreviate the country name.
more information, see sections 6722 and partners. In this situation, the partnership
6724. uses Form 1042, Annual Withholding Tax
Return for U.S. Source Income of Foreign Form 8804
Late Payment of Tax Persons, and Form 1042-S, Foreign
Person's U.S. Source Income Subject to Lines 4a and 5a
The penalty for not paying tax when due Withholding, to report withholding from
is usually 1/2 of 1% of the unpaid tax for Figure the partnership's effectively
distributions instead of following these
each month or part of a month the tax is connected taxable income based on the
instructions. It also must comply with the
unpaid. The penalty cannot exceed 25% definition on page 3. Enter the effectively
regulations under section 1461 and
of the unpaid tax. connected taxable income allocable to
Regulations section 1.6302-2.
noncorporate foreign partners in the
Failure To Withhold and Pay Over However, such a partnership may elect designated space on line 4a. Enter the
Tax instead to pay a withholding tax based on effectively connected taxable income
effectively connected taxable income allocable to corporate foreign partners in
Any person required to withhold, account allocable to its foreign partners. To do
for, and pay over the withholding tax the designated space on line 5a.

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Partnership effectively connected Statement of Withholding on Dispositions Line 8b
taxable income on which a foreign partner by Foreign Persons of U.S. Real Property
Check the box on this line if any of the
is exempt from U.S. tax by a treaty or Interests, for the tax year in which the
partnership's effectively connected
other reciprocal agreement is not partnership disposed of the U.S. real
taxable income is treated as not allocable
allocable to that partner and is exempt property tax interest. Also enter the
to the foreign partner identified on line 1
from withholding under section 1446. amount of section 1445(e)(1) tax shown
and therefore exempt from section 1446
However, this exemption from section under Income Code 25 or 26 on Form
withholding because the income is
1446 withholding must be reported on 1042-S for the tax year in which the trust
exempt from U.S. tax for that foreign
Form 8805. made the distribution to the partnership
partner by a treaty, reciprocal exemption,
from which tax was withheld because of
Line 7b or a provision of the Internal Revenue
the disposition of a U.S. real property
Code.
A foreign partnership must enter the interest. Do not enter more than the
amount of section 1446 tax withheld amount allocable to foreign partners (as
shown on Form 8805 or under Income defined in section 1446(e)). Enter Form 8813
Code 27 on Form 1042-S received from amounts allocable to U.S. partners on line
another partnership in which it owns an 13 of Schedules K and K-1 (Form 1065). Line 2
interest during its tax year. The For Form 1065-B, enter amounts on line A partnership without a U.S. EIN must
partnership may credit this amount 16 of Schedule K and in box 9 of obtain one and must pay any section
against its section 1446 liability for that tax Schedule K-1. 1446 withholding tax due. If the
year. partnership has not received an EIN by
Form 8805 the time it files Form 8813, indicate on line
Line 7c 2 of Form 8813 the date the partnership
Line 7c applies only to partnerships Line 2a applied for its EIN. On receipt of its EIN,
treated as foreign persons and subject to the partnership must immediately send
A partnership must pay the withholding
withholding under section 1445(a) or that number to the IRS using the address
tax for a foreign partner even if it does not
1445(e)(1) upon the disposition of a U.S. as shown in Where To File on page 1 of
have a TIN for that partner. See
real property interest. Enter on line 7c the these instructions.
Taxpayer Identifying Number on page
amount of tax withheld under section 2 for details on obtaining a TIN.
1445(a) and shown on Form 8288-A,

Page 5
WORKSHEET TO FIGURE 2000 INSTALLMENT PAYMENTS OF SECTION 1446 TAX FOR A FOREIGN PARTNER
(Keep for your records—Do not send to the Internal Revenue Service)
Caution: Complete lines 1 through 10 of one column before going (a) 1st (b) 2nd (c) 3rd (d) 4th
Installment Installment Installment Installment
to the next column.
Period
First ____ First ____ First ____ First ____
1 Annualization periods (see instructions) months months months months
1
2 Enter the partnership’s effectively connected taxable income for
each period 2
3 Annualization amounts (see instructions) 3
4 Annualized effectively connected taxable income. Multiply line 2 by
line 3 4
5 Foreign partner’s annualized effectively connected taxable income.
Enter the foreign partner’s share of line 4 5
6 Multiply line 5 by 39.6% for a noncorporate partner (35% for a
corporate partner) 6
7 Applicable percentage 7 25% 50% 75% 100%
8 Multiply line 6 by line 7 8
9 Add the amounts in all preceding columns of line 10 9
10 Installment payments of section 1446 tax due for foreign partner.
Subtract line 9 from line 8. If less than zero, enter -0- 10

Worksheet Instructions
Line 1—Annualization Periods
For purposes of annualizing a foreign partner’s effectively connected taxable income during the tax year, partnerships must
choose one of the following three sets of annualization periods, which are designated Standard Option, Option 1, and Option 2.

1st Installment 2nd Installment 3rd Installment 4th Installment


Standard Option First 3 months First 3 months First 6 months First 9 months
Option 1 First 2 months First 4 months First 7 months First 10 months
Option 2 First 3 months First 5 months First 8 months First 11 months

If the partnership chooses either Option 1 or 2, it must annually elect to use the option by filing Form 8842, Election To Use
Different Annualization Periods for Corporate Estimated Tax. Form 8842 must be filed by the 15th day of the 4th month of the
tax year for which the election is to apply. The Standard Option can be used without filing Form 8842.
Enter in each column on line 1 the number of months in the annualization periods for the option chosen by the partnership.
Line 3—Annualization Amounts
If the partnership chose the Standard Option, enter 4 in column (a), 4 in column (b), 2 in column (c), and 1.33333 in column (d).
If the partnership chose Option 1, enter 6 in column (a), 3 in column (b), 1.71429 in column (c), and 1.2 in column (d). If the
partnership chose Option 2, enter 4 in column (a), 2.4 in column (b), 1.5 in column (c), and 1.09091 in column (d).

Page 6
Country Codes Congo (Brazzaville) ......................... CF Jersey .............................................. JE
Congo, Democratic Republic of ...... Johnston Atoll.................................. JQ
Enter on line 4, Form 8805, the code, (Zaire) ............................................ CG Jordan ............................................. JO
from the list below, for the country of Cook Islands ................................... CW Juan de Nova Island ....................... JU
which the partner is a resident for tax Coral Sea Islands Territory ............. CR Kazakhstan ...................................... KZ
purposes. These codes are used by the Corsica ............................................ VP Kenya .............................................. KE
IRS to provide information to all tax treaty Costa Rica....................................... CS Kingman Reef ................................. KQ
countries for purposes of their tax Cote D'Ivoire (Ivory Coast).............. IV Kiribati (Gilbert Islands)................... KR
administration. Generally, the partner's Croatia ............................................. HR Korea, Democratic People's
country for both tax and mailing purposes Cuba ................................................ CU Republic of (North) ........................ KN
will be the same. In some cases, Curacao ........................................... NT Korea, Republic of (South) ............. KS
however, two different countries are Cyprus ............................................. CY Kurile Islands................................... RS
involved. Czech Republic ............................... EZ Kuwait .............................................. KU
Country Code Denmark .......................................... DA Kyrgyzstan ....................................... KG
Abu Dhabi ....................................... TC Djibouti ............................................ DJ Laos ................................................. LA
Afghanistan ..................................... AF Dominica ......................................... DO Latvia ............................................... LG
Albania ............................................ AL Dominican Republic ........................ DR Lebanon .......................................... LE
Algeria ............................................. AG Dubai ............................................... TC Lesotho ............................................ LT
American Samoa............................. AQ Ecuador ........................................... EC Liberia .............................................. LI
Andorra ............................................ AN Egypt ............................................... EG Libya ................................................ LY
Angola ............................................. AO Eleuthera Island .............................. BF Liechtenstein ................................... LS
Anguilla ............................................ AV El Salvador ...................................... ES Lithuania .......................................... LH
Antarctica ........................................ AY Equatorial Guinea ........................... EK Luxembourg .................................... LU
Antigua and Barbuda ...................... AC Eritrea .............................................. ER Macau .............................................. MC
Argentina ......................................... AR Estonia ............................................ EN Macedonia (former Yugoslav ..........
Armenia ........................................... AM Ethiopia ........................................... ET Republic of .................................... MK
Aruba ............................................... AA Europa Island .................................. EU Madagascar (Malagasy Republic) .. MA
Ashmore and Cartier Islands .......... AT Falkland Islands (Islas Malvinas) .... FK Malawi ............................................. MI
Australia .......................................... AS Faroe Islands .................................. FO Malaysia .......................................... MY
Austria ............................................. AU Fiji .................................................... FJ Maldives .......................................... MV
Azerbaijan ....................................... AJ Finland ............................................. FI Mali .................................................. ML
Azores ............................................. PO France ............................................. FR Malta ................................................ MT
Bahamas, The ................................. BF French Guiana ................................ FG Marshall Islands .............................. RM
Bahrain ............................................ BA French Polynesia (Tahiti) ................ FP Martinique ........................................ MB
Baker Island .................................... FQ French Southern and Antarctic Mauritania ........................................ MR
Balearic Islands (Mallorca, etc.)...... SP Lands ............................................. FS Mauritius .......................................... MP
Bangladesh ..................................... BG Gabon .............................................. GB Mayotte ............................................ MF
Barbados ......................................... BB Gambia, The ................................... GA Mexico ............................................. MX
Bassas da India .............................. BS Gaza Strip ....................................... GZ Micronesia, Federated States of ..... FM
Belarus ............................................ BO Georgia ............................................ GG Midway Islands................................ MQ
Belgium ........................................... BE Germany .......................................... GM Moldova ........................................... MD
Belize ............................................... BH Ghana .............................................. GH Monaco ............................................ MN
Benin (Dahomey) ............................ BN Gibraltar ........................................... GI Mongolia .......................................... MG
Bermuda .......................................... BD Glorioso Islands .............................. GO Montenegro ..................................... MW
Bhutan ............................................. BT Great Britain (United Kingdom)....... UK Montserrat ....................................... MH
Bolivia .............................................. BL Greece ............................................. GR Morocco ........................................... MO
Bonaire ............................................ NT Greenland ........................................ GL Mozambique .................................... MZ
Bosnia-Herzegovina ........................ BK Grenada (Southern Grenadines) .... GJ Namibia ........................................... WA
Botswana ......................................... BC Guadeloupe ..................................... GP Nauru ............................................... NR
Bouvet Island .................................. BV Guam ............................................... GQ Navassa Island................................ BQ
Brazil ............................................... BR Guatemala ....................................... GT Nepal ............................................... NP
British Indian Ocean Territory ......... IO Guernsey ......................................... GK Netherlands ..................................... NL
Brunei .............................................. BX Guinea ............................................. GV Netherlands Antilles ........................ NT
Bulgaria ........................................... BU Guinea-Bissau ................................. PU New Caledonia ................................ NC
Burkina Faso (Upper Volta) ............ UV Guyana ............................................ GY New Zealand ................................... NZ
Burma .............................................. BM Haiti ................................................. HA Nicaragua ........................................ NU
Burundi ............................................ BY Heard Island and McDonald Islands. HM Niger ................................................ NG
Cambodia (Kampuchea) ................. CB Honduras ......................................... HO Nigeria ............................................. NI
Cameroon ........................................ CM Hong Kong ...................................... HK Niue ................................................. NE
Canada ............................................ CA Howland Island................................ HQ Norfolk Island .................................. NF
Canary Islands ................................ SP Hungary ........................................... HU Northern Ireland .............................. UK
Cape Verde ..................................... CV Iceland ............................................. IC Northern Mariana Islands................ CQ
Cayman Islands .............................. CJ India ................................................. IN Norway ............................................ NO
Central African Republic ................. CT Indonesia (including Bali, Belitung, . Oman ............................................... MU
Chad ................................................ CD Flores, Java, Moluccas, Sumatra,. Pakistan ........................................... PK
Chile ................................................ CI Timor, etc.) .................................... ID Palau, Republic of ........................... PS
China, People's Republic of............ Iran .................................................. IR Palmyra Atoll ................................... LQ
(including Inner Mongolia, Tibet,... Iraq .................................................. IZ Panama ........................................... PM
and Manchuria) ............................. CH Ireland, Republic of (Eire) ............... EI Papua New Guinea ......................... PP
Christmas Island (Indian Ocean) .... KT Isle of Man ...................................... IM Paracel Islands................................ PF
Clipperton Island ............................. IP Israel ................................................ IS Paraguay ......................................... PA
Cocos (Keeling) Islands .................. CK Italy .................................................. IT Peru ................................................. PE
Colombia ......................................... CO Jamaica ........................................... JM Philippines ....................................... RP
Comoros .......................................... CN Jan Mayen....................................... JN Pitcairn Island.................................. PC
Japan ............................................... JA Poland ............................................. PL

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Portugal ........................................... PO Somalia ........................................... SO Tuvalu .............................................. TV
Puerto Rico ..................................... RQ South Africa..................................... SF Uganda ............................................ UG
Qatar (Katar) ................................... QA South Georgia and the Ukraine ............................................ UP
Redonda .......................................... VI South Sandwich Islands................ SX United Arab Emirates ...................... TC
Reunion ........................................... RE Spain ............................................... SP United Kingdom (England, Wales, ..
Romania .......................................... RO Spratly Islands................................. PG Scotland, No. Ireland) ................... UK
Russia ............................................. RS Sri Lanka ......................................... CE Uruguay ........................................... UY
Rwanda ........................................... RW Sudan .............................................. SU Uzbekistan ....................................... UZ
Ryukyu Islands ................................ JA Suriname ......................................... NS Vanuatu ........................................... NH
St. Helena (Ascension Island and .. Svalbard (Spitsbergen) ................... SV Vatican City ..................................... VT
Tristan de Cunha Island Group) ... SH Swaziland ........................................ WZ Venezuela ....................................... VE
St. Kitts (St. Christopher and Nevis). SC Sweden ........................................... SW Vietnam ........................................... VM
St. Lucia .......................................... ST Switzerland ...................................... SZ Virgin Islands (British) ..................... VI
St. Pierre and Miquelon .................. SB Syria ................................................ SY Virgin Islands (U.S.) ........................ VQ
St. Vincent and the Grenadines...... Taiwan ............................................. TW Wake Island .................................... WQ
(Northern Grenadines) .................. VC Tajikistan ......................................... TI Wallis and Futuna ........................... WF
San Marino ...................................... SM Tanzania, United Republic of.......... TZ West Bank ....................................... WE
Sao Tome and Principe .................. TP Thailand ........................................... TH Western Sahara .............................. WI
Sarawak .......................................... MY Togo ................................................ TO Western Samoa .............................. WS
Saudi Arabia.................................... SA Tokelau ............................................ TL Windward Islands ............................ VC
Senegal ........................................... SG Tonga .............................................. TN Yemen (Aden) ................................. YM
Serbia .............................................. SR Tortola ............................................. VI Zaire (Democratic Republic of ........
Seychelles ....................................... SE Trinidad and Tobago ....................... TD Congo) ........................................... CG
Sierra Leone.................................... SL Tromelin Island................................ TE Zambia ............................................ ZA
Singapore ........................................ SN Tunisia ............................................. TS Zimbabwe ........................................ ZI
Slovakia ........................................... LO Turkey ............................................. TU Other Countries ............................... OC
Slovenia ........................................... SI Turkmenistan ................................... TX
Solomon Islands.............................. BP Turks and Caicos Islands ............... TK

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