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Form 5471 (Schedule O) for Franklin Ohio: What You Should Know
U.S. Shareholders and Beneficiaries of Foreign Corporations. U.S. directors and officers of the foreign corporation are to be listed for the purposes of applying the foreign tax credit. The form is subject to the instructions. Form 990 filings must be made to the IRS by April 15 of the following year. Schedule O (Form 9859) β IRS The form and schedules are used to satisfy the corporate reporting requirements of sections 6016 and 6017, and the related regulations. Form 5949-V β IRS Form 5949-V (Rev. June 2012) β IRS Important: Form 5949-V (Rev. June 2012) is used by U.S. entities to satisfy the income tax requirements for foreign entities. Form 5959-V β IRS The form and schedules are used to satisfy the corporate reporting requirements of sections 6038 and 6046, and the related regulations. Form 5959-(Rev. June 2012) β IRS This form is used by U.S. entities to satisfy the tax reporting requirements on foreign entities. Form 5959-V β IRS The form and schedules are used to satisfy the corporate reporting requirements of sections 6038 and 6046, and the related regulations. Form 5472 β IRS Form 5472 (Rev. June 2012) β IRS Important: Form 5949-V (Rev. June 2012) is now used by U.S. and foreign entities to satisfy the corporate reporting requirements on foreign entities. Forms 4787 and 5472 are now used to report information concerning the tax benefits of the foreign tax credit. Form 5473-SP β IRS Form 5473-SP (Rev. June 2012) β IRS Important: Form 5472 (Rev. June 2012) is used by U.S. and foreign entities to satisfy the corporate reporting requirements on foreign entities. Form 5473(S) is now used to report information concerning the tax payments and tax benefits of the tax credit. Forms 5473 (Rev. June 2012) and 5473(P) are now used to report information concerning the tax payments and tax benefits of the foreign tax credit. Form 5473-SP β IRS Form 5473 (Rev. June 2012) is used by U.S. and U.S. controlled foreign corporations and U.S. pass through entities to report information relating to the use of the international bonus depreciation arrangements as described in Part I.
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