USA Compression Partners LP : First Quarter 2026 Foreign Withholding

USAC

Published on 04/16/2026 at 06:38 pm EDT

Partnership:

USA Compression Partners, LP

Declaration Date:

4/16/2026

Unit Class:

Common Units

Record Date:

4/27/2026

CUSIP #:

90290N109

Payable Date:

5/8/2026

Per Unit Amount:

$0.525

This notice relates to withholding on common units owned by non-U.S. investors of USA Compression Partners, LP (the "Partnership"). If you are not a non-U.S. investor and you do not act as custodian for a non-U.S. investor, you may ignore this notice.

This notice is intended to serve as qualified notice under Treasury Regulation Section 1.1446-

4(b). Brokers and nominees should treat one hundred percent (100%) of the Partnership's distributions to non-U.S. investors as being attributable to income that is effectively connected with a United States trade or business. Accordingly, the Partnership's distributions to non-U.S. investors are subject to federal income tax withholding at the highest applicable effective tax rate.

For purposes of Treasury Regulation Section 1.1446(f)-4(c)(2)(iii), brokers and nominees should treat one hundred percent (100%) of the distribution as being in excess of cumulative net income for purposes of determining the amount to withhold.

For the purposes of withholding on sales transactions under Treasury Regulation Section 1.1446(f)-4(a)(2), brokers should treat one hundred percent (100%) of the proceeds attributable to the sale of Partnership units as being attributable to a U.S. trade or business.

A copy of this notice will also be available on the Partnership's website (currently available at https://www.usacompression.com) for ten years from the date of the issuance of this notice.

Disclaimer

USA Compression Partners LP published this content on April 16, 2026, and is solely responsible for the information contained herein. Distributed via Public Technologies (PUBT), unedited and unaltered, on April 16, 2026 at 22:37 UTC.