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Chicago Illinois Form 5471 (Schedule O): What You Should Know

The “acquired foreign corporation” is defined in paragraph (c)(1). Corporate Reorganizations on IRS Form 5471 25 Mar 2025 — The IRS will amend Form 5471 at a future date to include foreign direct and indirect owned foreign corporations that have acquired (a) within the preceding 3 years, a share in each such foreign corporation or controlled foreign corporation if such foreign corporation or controlled foreign corporation is a controlled foreign corporation and (b) within the preceding 5 years, a share in each such foreign corporation or controlled foreign corporation if the acquisition of the share is a tax acquisition. Election to Report on Form 5471 by Qualified Shareholder. The IRS will provide instructions regarding the submission of information on the Foreign Bank and Corporate Information Reports to determine whether a Form 5471 is required by a qualified shareholder. (Rev. 6/20/2020) Instructions for Form 5471 (Rev. January 2020) — IRS The requirements of the Forms 5471 are designed to satisfy the reporting requirements of section 6038 and the related regulations. Nonimmigrant Petition Documents on IRS Form 5471 13 May 2025 — There are no changes to this requirement. Foreign Business Income Information on IRS Form 5471 31 Mar 2025 — The requirements of the Forms 5471 are designed to satisfy the reporting requirements of section 6038 and the related regulations. Instructions for Form 5471 — IRS The requirements of the Forms 5471 are designed to satisfy the reporting requirements of section 6038 and the related regulations. Prohibited Activities on IRS Form 5471 (Rev. 1/20/2018) 27 Feb 2025 — The changes are not a change; it just adds the current prohibition on business partnerships. Foreign Business Income Information on IRS Form 5471 (Rev. 6/18/2017) 31 Jan 2025 — The current prohibition on business partnerships is not removed from the Form 5471 but is replaced by the restriction on “business or professional conduct involving the sale or lease of property. “ Foreign Business Income Information Reporting (Rev.

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