Attention Foreign-Owned U.S. Business Entities! The IRS is zeroing in on transactions that have long flown under the radar. If you’re a foreign-owned U.S. disregarded entity (DE), it’s time...
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...
Attention All Foreign-Owned U.S. Corporations & CPAs! In the treacherous terrain of U.S. tax compliance, one form towers above the rest in complexity and consequence: Form 5472. It’s not...