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Form 5471 Illinois: What You Should Know

This notice, dated October 4, 2016, provides information regarding the use of  Form 5471 in connection with a related-party transaction involving the foreign corporation. Federal Tax and IRS Dispute Lawyer Bellevue, WA, is a member of the national tax advocacy group, AARP, and the Tax Counsel Institute. She is a tax litigator, law student, tax advisor, and member of Washington's statewide bar. Ms. Redmond and her legal team are committed to working with clients to provide them with the best possible chance of getting the most favorable outcomes for their tax returns. About the IRS Information Return The tax information return that you request in the form of Form 5471 is used to ensure that related party transactions of the corporation satisfy the arm's length standard of Section 482 of the Internal Revenue Code of 1986. This form is also used to help you keep track of your taxes. For more information regarding the Form 5471, click here Form 5471 All questions concerning forms 5471 should be directed to your local IRS Service Center. If the filing of a Form 5471 to satisfy a related-party transaction does not satisfy the arm's length standard, or if the filing of such a form does not satisfy the requirements of the relevant tax treaty governing the transaction, the relevant IRS Service Center must refer your case back to the IRS to determine the necessary adjustments for your situation. Generally, you will be able to file Form 5471 or provide relevant supporting documentation by the due date of any other U.S. federal tax return unless: Form 5471 is for any form of return other than an income tax return (including an employment tax return); or Form 5471 is due on or before an earlier date. If you have questions about Form 5471 that do not relate to the application of the U.S. tax law to your particular situation, you may call our Washington, DC office at.

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