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Form 8938 for Stamford Connecticut: What You Should Know

Foreign Tax Credit and Foreign Housing Deduction 15 Apr 2025 — Five years (where the foreign financial asset should have been, although was not, reported on a Form 8938). Foreign Tax Credit and Streamlined Filing Procedures 12 Jul 2025 — Eight years (where the foreign financial asset  should have been, although was not, reported on a Form 8938 for that year; or the foreign income  asset uses a non-filed form as required). Foreign Tax Credit and Streamlined Filing Procedures 21 Apr 2025 — Nine years (where the foreign financial asset should have been, although was not, reported on a Form 8938 for that year; or the foreign income  asset uses a non-filed form as required, due to the absence of a tax return for that year). Tax-Sheltered International Business Transactions, Special Rule For transactions subject to the “tax-sheltered international business transaction” (TI SBT) Exemption 7 May 2025 — As a result of proposed changes to foreign tax credit rules that could result in increased excess tax credit issuance, the IRS and the IRS, Treasury have modified the TI SBT special rule exempting certain transactions from the taxable income requirement for an exemption. Excess Tax Credit Issue and Guidance 6 Jun 2025 — The IRS issues guidance pertaining to the proposed rules, tax-sheltered transactions, and excess tax credit issuance from 25 April 2017. Excess Tax Credit Issuance Guidance 11 Jun 2025 — The IRS issues guidance regarding the issuance of excess tax credit for income tax returns for the first time. Excess Tax Credit Issues, Tax-Sheltered Transactions and Exemptions 15 Jun 2025 — The IRS issues guidance on the issuance of excess tax credit, and issuance of exemptions, for income tax returns filed under the Excess Tax Credit Exemption and for tax returns for the first time. Excess Tax Credit Issues, Tax-Sheltered Transactions and Exemptions 16 Jun 2025 — The IRS issues guidance on the issues related to excess taxes credit, issued to the issuer of a tax-sheltered transaction, on behalf of the tax-exempt partner on the transaction.

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