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Form 8938 for Portland Oregon: What You Should Know
Form 8938. (Rev. March 2019) — IRS. Statement of Foreign Financial Assets. Department of the Treasury. Internal Revenue Service. Statement of Specified Foreign Financial Assets. Internal Revenue Code Section 2(b) IRS Guidance for Foreign Persons With Financial Assets of U.S. Ownership June 24, 2025 — The IRS recently issued guidance with respect to foreign persons who own or control businesses for which they file taxes here. The new guidance provides specific guidance on issues such as the definition and characterization of U.S. ownership interests, how a foreign person may be considered an officer or employee of a U.S. corporation or partnership if they act on its behalf, and how a foreign person may be considered to be related to a U.S. person if they hold a U.S. individual equity or profits interest of a U.S. corporation (or of a trust for which a U.S. individual is a beneficiary). IRS. Notice 2013-62. IRS Offers Clarification on Form 8938 in Tax Compliance Act Comments | Federal Register Notice [PDF]: For purposes of the tax act, a person who is a U.S. person and is treated as a U.S. person for purposes of a provision of the tax act includes any partner of the person with respect to business activities. A person that is not a U.S. person has a foreign parent and will not be treated as a U.S. person for purposes of the tax act for purposes of the provision of the tax act except where the person is a U.S. partner of a foreign person. An entity that is an entity that is required to be incorporated under the tax act is considered to be a non-resident for corporation tax purposes. A partnership treated as an entity for corporation tax purposes will be treated as a non-resident in connection with the payment of any tax on its partners' foreign income. IRS clarifies foreign corporations in tax law June 23, 2025 — The Internal Revenue Service (IRS) today (June 23, 2018) issued clarification relating to the Foreign Corporations and Partnerships Act (CPA). The clarification clarifies that a partnership that, for U.S.
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