U.S. Businesses with Foreign Ties, Listen Up! When it comes to IRS scrutiny, nonmonetary and less-than-full consideration transactions between your U.S. corporation and foreign related parties are a hotbed...
U.S. Taxpayers Abroad, It’s Time to Demystify Form 5472 Part IV Navigating the IRS’s requirements can feel like deciphering an ancient code. Specifically, Part IV of Form 5472, focusing...