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Form 5471 Texas Dallas: What You Should Know

The course will also include an example of the IRS Form 5471 that a U.S. person with the required information would file if that U.S. person owned common stock directly. (Register for “Practical Tax for Tax Professionals with John C. Ale shire) Sep 20, 2024 — This course will discuss the requirements for reporting and preparing U.S. taxes for international partners of U.S. persons. This includes the filing of Form 5471. (Register for “Practical Tax for Tax Professionals with John C. Ale shire) Sep 06, 2024 — This course will cover the required information for the foreign stock ownership requirement with regard to U.S. investors. (Registration for Practical Tax for Tax Professionals with John C. Ale shire) Sep 6, 2024 — This course will review the provisions of the SEC's rules for U.S. persons with respect to investment partnerships. It will also address the U.S. person's reporting and accounting for those investments. (Register for “Practical Tax for Tax Professionals with John C. Ale shire). Sep 02, 2024 — This course will review the requirements and procedures that may apply to U.S. persons who are partners or owners in foreign mutual funds. (Registration for Practical Tax for Tax Professionals with John C. Ale shire) Aug 31, 2024 — This course will review, as related to the requirement regarding investments in foreign mutual funds, information required by Regulation S-K. (Registration for Practical Tax for Tax Professionals with John C. Ale shire) Aug 18, 2024 — These courses will provide practical methods of preparing U.S. tax returns for entities in foreign jurisdictions. Topics include but are not restricted to the requirements for Form 8949, “Statement of Income From a Foreign Place,” Form 4797, “Information on Reportable Payment,” Forms 8527 and 8544 as well as the U.S. person reporting the income, deductions and credits of its foreign affiliates. (Registration for Practical Tax for Tax Professionals with John C. Ale shire). Aug 11, 2024 — This course will review the U.S. person information provisions for the information reporting rule. It will provide an explanation of the requirements for information returns for foreign entities including the U.S.

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