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King Washington Form 5471 (Schedule J): What You Should Know

However, Form 5471 and related forms are still considered a work in progress and subject to change. Sep 1, 2025 — Tax reform. Tax reform is an exciting prospect and a big change to the overall tax burden in America. The Tax Reform and Tax Policy Act of 2025 (Passed on Dec. 20, 2017)  Includes provisions that alter several provisions in section 901 of the U.S. Internal Revenue Code (Sec. 901), and in some specific areas, changes the tax rules for interest, dividends and capital gain. Sec. 901 of the Internal Revenue Code. The Sec. 901 changes provide a greater tax advantage for U.S. investors in foreign entities and U.S. owners of interests in such foreign entities. Sec. 901(c)(2)(B) and (c)(10)(B)(ii). These new sections of the tax code provide special treatment to U.S. investors and U.S. owners of certain specified interests in foreign corporations and foreign direct investments (FDI). Sec. 901(d)(1)(B). In general, the foreign source exclusion is eliminated, making it more advantageous for U.S. investors and U.S. owners of interests in foreign partnerships or S corporations. Sec. 901(f)(1). The rules that apply to controlled foreign corporations are changed, providing a greater tax advantage to U.S. investors in such corporations. Sec. 901(g). A foreign person is treated as a branch outside the United States if the foreign person owns or controls more than 50 percent of the foreign corporation's voting stock. As you read this article, refer to the new tax provisions as Sec. 901(f)(1)(A), (B) or (e). You can refer back to the Tax Code for any clarification you may need. As to the rules that affect interest income, Sec. 901(f)(2)(B) applies to nonresident aliens. How this impact's you. This article will guide you through the changes that have taken place in Sec. 901 of the Internal Revenue Code.  What's new in Sec. 901 of Internal Revenue Code on October 17, 2017. Sec. 901(a)(1). This section of the Sec. 901 Code provides that a corporation described as a partnership for U.S.

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