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MI Form 8288-A: What You Should Know

S. Withholding Tax Return for Dispositions by Foreign Persons of U.S. Real Property Interests,  the information on Form 8288-A, Statement of Withholding is the same information required for Form 8288,  U.S. Withholding Tax Return for Dispositions by Foreign Persons of U.S. Real Property Interests, except for  the information in Item (1), which has changed to Item (2) and Item (3), respectively.  (3) Forms for Form 8288, U.S. Withholding Tax Return for Dispositions by Foreign Persons of U.S. Real Property Interests,  are prepared on Form 8288-A, Statement of Withholding. Section 3.21.255. General Requirements (1) General. The information provided in this IRM is for general information purposes only and shall not be construed to be tax information. It may not be deemed correct or up-to- date in all respects by reason of any change in the Code, and it is not intended to create any presumption concerning its truthfulness or accuracy. Nothing herein, or in related materials, may be construed to limit or affect any other rights under IRS Code  or the laws of any state, or cause the U.S. Government to refuse any claim or payment arising under any other federal law or  regulations, including, without limitation, any tax return or Form 8288, U.S. Withholding Tax Return for Dispositions by  Foreign Persons of U.S. Real Property Interests.  (2) Limitations. The information provided in this IRM shall not be construed under any provision of law except to the following: (i)  (a)  (1)  (a) Any person shall be exempt from federal income taxation with respect to an interest held in an account and in respect of which that person has a valid and enforceable interest through a U.S. real property contract if the interest was vested on or before January 1, 1991, under an accounting that is consistent with generally accepted accounting principles (GAAP) that would have been used had the interest been held by a domestic partnership or other private limited liability company (“LPC”) and not an individual, that had its assets and liabilities and its activities treated as separate from those of others.

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