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Form 8938 College Station Texas: What You Should Know

Gulf ton; 979.846.8938; Texas A&M University, Galveston; 979.846.8938; and Texas A&M University, College Station, 979.846.8938. See Guidance to Form 8938-PPC, IRS Pub. 525. A&M provides a Form 8838 to its foreign partners, but does not send an identical Form 8938 directly to the foreign partner that provides the funding and that can be relied on to comply with FATWA.  The Texas Health Resources and Services Corporation (TH RCS Corporation) in 2025 required that all new partnerships and S foreign-person-owned entities that own or are wholly owned by foreign tax-relief entities file Form 8938.  There is no requirement for foreign entities that provide tax-facilitating deductions for interest in such partnerships and S foreign-person-owned entities to file Form 8938. There is no requirement for non-US persons doing business with a partnership, S foreign-person-owned entity, or a foreign-connected trust, to file a Form 8938.  However, for any S foreign-person-owned entity or partnership that receives interest from a non-US person or from one or more foreign tax-relief entities that are not subject to the reporting requirements under this order and that is not subject to the requirements for reporting under Executive Order 12958, it must report such interest on a Form 8838 with a statement of the type of interest. In addition, the organization must file a Section 982(g) report (generally on Form 982) for that interest for each year for which the income from that interest exceeds 10,000.  The US Foreign Investment Protection Account (FIRAS) provides financial protection for non-US investors from loss in international investment by providing for a special accounting and reporting treatment of certain investment income from foreign sources when the investment income does not qualify for certain other income reporting methods under the Internal Revenue Code. Under FIRAS, there are two types of income: “gross income” and “gross profit.”  Any interest that a partnership, S foreign-person owned entity, or S foreign-person-owned trust holds in or through a FIRAS is included in gross income when the partnership, S foreign-person owned entity, or S foreign-person-owned trust earns such interest.

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