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Form 5471 (Schedule J) Minnesota Hennepin: What You Should Know

In almost all cases, certain “special ordering” can be performed in  Sep 21, 2025 — Schedule J of Form 5471 tracks the earnings and profits (“E&P”) of a CFC in its functional currency. There is some form of special ordering by completing the appropriate subparts of Schedule J. In general, subparts J and L (“Foreign Tax Credit and Special Ordering) are not required to be completed in the same order as Schedule J. In general terms, only subparts J and L (“ Foreign Tax Credit and Special Ordering) must be completed in the same order as Schedule J. (1) Subpart F (Foreign Tax Credit). The tax deduction (“E&P”) granted by the foreign tax credit. (2) Subpart F (Special Ordering). If a particular year requires a special order of a particular subpart to be completed on a particular date, this date is treated as the “earliest effective date” (“ the earliest effective date) for its purposes. The earliest effective date is calculated by adding both the year-end CFC and the year-beginning CFC. The 2025 IRS Form 5471 Schedule J (Rev. January 2023). Note that the 2025 IRS “Annual Report,” released on March 11, 2017, lists both subparts J and L (“Foreign Tax Credit). To see the differences between Subpart J and Subpart L on Schedule J (Form 5471), and what they involve, see the “2 Guide to Form 5471 and Foreign Tax Credit,” and Tax Topic No. 1062 in the 2025 Tax Cuts and Jobs Act (TCA). Form 5471 (Jan. 2020) — Accumulated Earnings & Profits (“E&P) of CFC Form 5471: Form 5471: Accumulated Earnings & Profits (“E&P”) of CFC (Rev. Jan. 2023) This year, Schedule J (Form 5471) reports the earnings (“E&P”) of a CFC for the first time.

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