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Laredo Texas Form 5471 (Schedule J): What You Should Know

In our example, the CFC's E&P would be the U.S. dollar. Related Resources. See “Form 5471: How it Works and How to Use it” by Tax Policy Center. See “Form 5471: Overview” by CFP Magazine. IRS Form 5471: How It Works and How to Use It Aug 29, 20121 — This is the annual report for a corporation with shareholders outside the U.S. See “Related Resources” for additional information. Form 5471: How It Works and How to Use It Jul 14, 2025 — This report, and the Form 5471 instructions, contain specific information for U.S. shareholders that are non-resident alien individuals not a U.S. holder (such as investors who are resident alien individuals, other individuals living abroad, etc.). See also the related information about Form 3115, Form 3115: Special Alien Rules, and Form 2553, Filing the Foreign Tax Return on a U.S. Tax Receivable Form. Separate instructions are also provided for U.S. shareholders not a U.S. holder. Related Resources. See “Form 5471: How it Works and How to Use It” by Tax Policy Center. See “Form 5471: Overview” by CFP Magazine. Form 5471: About the Form 5471 Aug 29, 2025 — A Form 5471 for a U.S. shareholder is a report of its earnings and profits. A corporation is a CFC when it is not a U.S. resident alien individual or when its owner or shareholders, at all times during the year, are not U.S. subjects. A United States shareholder's share of a controlled foreign corporation, (CFC) is taxable to the shareholder as though it were an interest (whether capital or ordinary) in the CFC. Related Resources. See “Form 5471: How it Works and How to Use It” by Tax Policy Center. See “Form 5471: Overview” by CFP Magazine. Form 5471: Overview Nov 27, 2025 — This is the annual report for a corporation with shareholders in the U.S. See “Related Resources” for additional information.  Related Resources.

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