Hello,
I am creating a corporation for my trading here in France and it's the first time I have to send a W8-BEN as a corp.Trading will be done through US brokers mostly on CME group exchanges.
So first question, just to be sure, the fact that I now have a corp don't change the fact that trading P§L is still exempted from withholding, right? I will still pay 100 % of my taxes in France? I would prefer to pay US corp tax instaed of french but that's another story...
Second question, what does c) d) e ) of II Means?
c )The beneficial owner is not an individual, derives the item (or items) of income for which the treaty benefits are claimed, and, if
applicable, meets the requirements of the treaty provision dealing with limitation on benefits (see instructions).
d)The beneficial owner is not an individual, is claiming treaty benefits for dividends received from a foreign corporation or interest from a
U.S. trade or business of a foreign corporation, and meets qualified resident status (see instructions).
e)The beneficial owner is related to the person obligated to pay the income within the meaning of section 267(b) or 707(b), and will file
Form 8833 if the amount subject to withholding received during a calendar year exceeds, in the aggregate, $500,000.
Do I have to check some of those boxes as a prop trading firm operating form France?
Thanks a lot
I am creating a corporation for my trading here in France and it's the first time I have to send a W8-BEN as a corp.Trading will be done through US brokers mostly on CME group exchanges.
So first question, just to be sure, the fact that I now have a corp don't change the fact that trading P§L is still exempted from withholding, right? I will still pay 100 % of my taxes in France? I would prefer to pay US corp tax instaed of french but that's another story...
Second question, what does c) d) e ) of II Means?
c )The beneficial owner is not an individual, derives the item (or items) of income for which the treaty benefits are claimed, and, if
applicable, meets the requirements of the treaty provision dealing with limitation on benefits (see instructions).
d)The beneficial owner is not an individual, is claiming treaty benefits for dividends received from a foreign corporation or interest from a
U.S. trade or business of a foreign corporation, and meets qualified resident status (see instructions).
e)The beneficial owner is related to the person obligated to pay the income within the meaning of section 267(b) or 707(b), and will file
Form 8833 if the amount subject to withholding received during a calendar year exceeds, in the aggregate, $500,000.
Do I have to check some of those boxes as a prop trading firm operating form France?
Thanks a lot
