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...
U.S. Taxpayers Abroad, Beware: The IRS is Watching Your Related Party Transactions For those navigating the treacherous waters of U.S. tax compliance from abroad, Form 5472 Part III demands...