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Form 5471 (Schedule O) for Orlando Florida: What You Should Know

You include the number of shares at the beginning of each year of the shareholder's ownership of units (including ownership of the shares by the same shareholder) in the preceding three years for an accumulated basis of 10% or more each year. You do not enter the actual number of shares when the acquisition occurred unless (1) you are filing to correct an understatement of the amount of U.S.-source income in a Schedule K-1 or Q-1 or (2) all information is included on this part of the schedule. Table 1-1. To Be  For the Acquisition Column (d)—Enter the aggregate dollar amount at the beginning of the shareholder's ownership of units in the foreign corporation during each year (including the prior three years) by the shareholder, or by a former shareholder as a partner of the shareholder, with an adjusted basis on the date the shareholder acquired (under section 245 or 245A of the Internal Revenue Code). If the shareholder owned units in the foreign corporation during only one year and had no income allocable to them, no entry should be made on this column. For the Foreign Corp Shareholders' Section 1250 Gain Column (e)—Enter the aggregate dollar amount at the beginning of the shareholder's ownership of units in the foreign corporation during each year (including the prior three years) by the shareholder or by any person who was the shareholder's partner, with an adjusted basis on the date the shareholder acquired (under section 245 or 245A of the Internal Revenue Code). If a shareholder's property is not held by a partnership and is not treated as property of the partnership on the date the shareholder acquires any property from the foreign corporation, no entry should be made on this column. If the shareholder does not enter the information on the line that bears the same number as the number on the shareholder's Form 1099-DIV reporting the shareholder's share of income for the year, enter a zero in the box for “Amounts unknown” and on the next set of lines, enter the same column the sum of the shareholder's allocation of U.S. source income for foreign tax purposes and the shareholder's allocation of section 1250 gain. Note: If a U.S.

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