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Form 5471 (Schedule O) for Pittsburgh Pennsylvania: What You Should Know

What is to be included in Schedule F? — The form also provides information about each U.S. corporation and partnership: the aggregate amount of its foreign subsidiaries for which a tax-exempt status is being claimed and the amount of its total consolidated income tax paid for tax years ending after 2018; the aggregate amount of its foreign direct investment for which a tax-exempt status is being claimed and the amount of its total consolidated income tax paid for tax years ending after 2025 and the aggregate amount of its foreign income tax paid for tax years ending after 2018; the amount attributable to each U.S. partner for corporate income taxes for tax years ending after 2025 and the amount of partnership capital contributed for taxable year ending after 2018; and the aggregate amount of income derived by such partners from partnerships for the period from January 15, 2018, to December 31, 2018, and the amount of income derived by such partners from the foreign partnership. A U.S. partner is any person that, on December 31, 2018, is resident in the U.S., has direct and immediate control over a U.S.-controlled foreign corporation, or is a partnership, or that is treated as a partnership for U.S. federal income tax purposes. In addition, some U.S. individuals can be covered by the Schedule F filing requirement.  These U.S. individuals are required to report certain amounts as well as report foreign income if the amount is required to be reported by U.S. GAAP. If you have a question or a correction regarding a U.S. person that you believe is subject to the Form 5471 or 4668 instructions, please contact the IRS Taxpayer Advocate Service.

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