Lender’s Organizational Structure and Tax Status. Please refer to the enclosed withholding tax instructions below and then complete this section accordingly: NON–U.S. LENDER INSTITUTIONS
Lender’s Organizational Structure and Tax Status. Please refer to the enclosed withholding tax instructions below and then complete this section accordingly:
Lender’s Organizational Structure and Tax Status. Please refer to the enclosed withholding tax instructions below and then complete this section accordingly: o W-9 o W-8BEN o W-8ECI o W-8EXP o W-8IMY NON—U.S. LENDER INSTITUTIONS
Lender’s Organizational Structure and Tax Status. Please refer to the enclosed withholding tax instructions below and then complete this section accordingly: NON–U.S. LENDER INSTITUTIONS
1. Corporations: If your institution is incorporated outside of the United States for U.S. federal income tax purposes, and is the beneficial owner of the interest and other income it receives, you must complete one of the following three tax forms, as applicable to your institution: a.) Form W-8BEN (Certificate of Foreign Status of Beneficial Owner) or Form W-8BEN-E, b.) Form W-8ECI (Income Effectively Connected to a U.S. Trade or Business), or c.) Form W-8EXP (Certificate of Foreign Government or Governmental Agency). A U.S. taxpayer identification number is required for any institution submitting a Form W-8 ECI. It is also required on Form W-8BEN or Form W-8BEN-E for certain institutions claiming the benefits of a tax treaty with the U.S. Please refer to the instructions when completing the form applicable to your institution. In addition, please be advised that U.S. tax regulations do not permit the acceptance of faxed forms. An original tax form must be submitted.
2. Flow-Through Entities If your institution is organized outside the U.S., and is classified for U.S. federal income tax purposes as either a Partnership, Trust, Qualified or Non-Qualified Intermediary, or other non-U.S. flow-through entity, an original Form W-8IMY (Certificate of Foreign Intermediary, Foreign Flow-Through Entity, or Certain U.S. branches for United States Tax Withholding) must be completed by the intermediary together with a withholding statement. Flow-through entities other than Qualified Intermediaries are required to include tax forms for each of the underlying beneficial owners. Please refer to the instructions when completing this form. In addition, please be advised that U.S. tax regulations do not permit the acceptance of faxed forms. Original tax form(s) must be submitted.
Lender’s Organizational Structure and Tax Status. Please refer to the enclosed withholding tax instructions below and then complete this section accordingly: NON–U.S. LENDER INSTITUTIONS
1. Corporations: If your institution is incorporated outside of the United States for U.S. federal income tax purposes, and is the beneficial owner of the interest and other income it receives, you must complete one of the following three tax forms, as applicable to your institution: a.) Form W-8BEN (Certificate of Foreign Status of Beneficial Owner) or Form W-8BEN-E, b.) Form W-8ECI (Income Effectively Connected to a U.S. Trade or Business), or c.) Form W-8EXP (Certificate of Foreign Government or Governmental Agency). A U.S. taxpayer identification number is required for any institution submitting a Form W-8 ECI. It is also required on Form W-8BEN or Form W-8BEN for certain institutions claiming the benefits of a tax treaty with the U.S. Please refer to the instructions when completing the form applicable to your institution. In addition, please be advised that U.S. tax regulations do not permit the acceptance of faxed forms. An original tax form must be submitted.
Lender’s Organizational Structure and Tax Status. Please refer to the enclosed withholding tax instructions below and then complete this section accordingly: Lender Taxpayer Identification Number (TIN): ___ ___ – ___ ___ ___ ___ ___ ___ ___ Tax Withholding Form Delivered to Bank of America (check applicable one): oW-9 oW-8BEN oW-8ECI oW-8EXP oW-8IMY Title __________________________________________ Xxxxxx Xxxxxxx __________________________________ Suite/Mail Code _________________________________ Postal Code _________________ Country ___________ Telephone _____________ Facsimile _______________ E-Mail Address __________________________________
Lender’s Organizational Structure and Tax Status. Please refer to the enclosed withholding tax instructions below and then complete this section accordingly: Lender Taxpayer Identification Number (TIN): ___ ___ – ___ ___ ___ ___ ___ ___ ___ Tax Withholding Form Delivered to Bank of America (check applicable one): oW-9 oW-8BEN oW-8ECI oW-8EXP oW-8IMY First MI Last Title Street Address Suite/Mail Code Postal Code Country Telephone Facsimile E-Mail Address
Lender’s Organizational Structure and Tax Status. Please refer to the enclosed withholding tax instructions below and then complete this section accordingly: Lender Taxpayer Identification Number (TIN): ☐ ☐- ☐ ☐ ☐ ☐ ☐ ☐ ☐ Tax Withholding Form Delivered to Bank of America (check applicable one): First: MI: Last: Title: Street Address: Suite/ Mail Code: City: State: Postal Code: Country: Telephone: Facsimile: E-Mail Address: SyndTrak E-Mail Address:
Lender’s Organizational Structure and Tax Status. Please refer to the enclosed withholding tax instructions below and then complete this section accordingly: NON–U.S. LENDER INSTITUTIONS
1. Corporations: If your institution is incorporated outside of the United States for U.S. federal income tax purposes, and is the beneficial owner of the interest and other income it receives, you must complete one of the following three tax forms, as applicable to your institution: a.) Form W-8BEN (Certificate of Foreign Status of Beneficial Owner), b.) Form W-8ECI (Income Effectively Connected to a U.S. Trade or Business), or c.) Form W-8EXP (Certificate of Foreign Government or Governmental Agency). A U.S. taxpayer identification number is required for any institution submitting a Form W-8 ECI. It is also required on Form W-8BEN for certain institutions claiming the benefits of a tax treaty with the U.S. Please refer to the instructions when REV April 2014