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Form 8854 online Connecticut: What You Should Know

Exemptions Certain individuals are not subject to the Connecticut income tax. See Section 5(b). The following individuals are exempt from Connecticut income tax. A natural person not more than three-quarters of whose people were U.S. citizens for the entire taxable year. A corporation without more than ten thousand (10,000) shareholders. A real estate investment trust (REIT) of a nonmember which was not operated as a corporation throughout the year. A U.S. government contractor (contractor) who receives an award or award is entitled to a credit of zero (0) on his Connecticut tax return and the contract was awarded in Connecticut. This credit is not subject to the tax imposed under paragraph (3) of this subsection. See Connecticut General Statutes section 12-60. The tax imposed under this paragraph (6)(d) is to be computed separately in accordance with section 16-17. An applicant for a certification as a business consultant in Connecticut is considered a business consultant if a tax return is required. This certification may be used to claim an amount of property tax relief as a deduction from a federal tax for Connecticut residents. See Connecticut General Statutes section 12-60(1). (7) Exemption. (A) An individual for whom, in the taxable year during which a return is required if the applicant has filed a Connecticut return for the taxable year and for which the income tax return is required by the taxpayer is exempt from Connecticut income tax. Section 12-60(1) provides for this exemption. If an applicant for a certification as a business consultant in Connecticut is not a resident of Connecticut for this taxable year, then this exemption is not available in accordance with section 12-60(1). In addition, if an application for approval of an income tax return has not been filed by the end of the third month before the filing of the tax return, the Commissioner may request the applicant to file a Connecticut return. See Connecticut General Statutes section 12-60.

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