Form Schedule N Schedule N Foreign Operations of U.S. Corporations

Form 1120, U.S. Corp. Income Tax Return, Schedule D, Capital Gains and Losses, Schedule H, Section 280H Limitations for a Personal Service Corporation (PSC), Schedule N, Foreign .........

1120 (sch n)

Foreign Operations of U.S. Corporations

OMB: 1545-0123

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I.R.S. SPECIFICATIONS
TO BE REMOVED BEFORE PRINTING
INSTRUCTIONS TO PRINTERS
SCHEDULE N (FORM 1120), PAGE 1 OF 2
MARGINS; TOP 13mm (1⁄ 2 "), CENTER SIDES. PRINTS: HEAD TO HEAD
PAPER: WHITE WRITING, SUB. 20.
INK: BLACK
FLAT SIZE: 216mm (81⁄ 2 ") x 279mm (11")
PERFORATE: NONE
DO NOT PRINT — DO NOT PRINT — DO NOT PRINT — DO NOT PRINT

SCHEDULE N
(Form 1120)
Department of the Treasury
Internal Revenue Service

Name

Action

Signature

O.K. to print
Revised proofs
requested

Foreign Operations of U.S. Corporations
©

Date

OMB No. 1545-0123

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Attach to Form 1120, 1120-C, 1120-IC-DISC, 1120-L,
1120-PC, 1120-REIT, 1120-RIC, or 1120S.

2008

Employer identification number (EIN)

Foreign Operations Information

Yes No

1a During the tax year, did the corporation own (directly or indirectly) any foreign entity that was disregarded as
an entity separate from its owner under Regulations sections 301.7701-2 and 301.7701-3 (see instructions)?
If “Yes,” you are generally required to attach Form 8858, Information Return of U.S. Persons With Respect to
Foreign Disregarded Entities, for each foreign disregarded entity (see instructions).
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b Enter the number of Forms 8858 attached to the tax return
2

Enter the number of Forms 8865, Return of U.S. Persons With Respect to Certain Foreign
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Partnerships, attached to the corporation’s income tax return

3

Excluding any partnership for which a Form 8865 is attached to the tax return, did the corporation own at least
a 10% interest, directly or indirectly, in any other foreign partnership (including an entity treated as a foreign
partnership under Regulations section 301.7701-2 or 301.7701-3)?
If “Yes,” see instructions for required attachment.

4a Was the corporation a U.S. shareholder of any controlled foreign corporation (CFC)? (See sections 951 and 957.)
If “Yes,” attach Form 5471, Information Return of U.S. Persons With Respect to Certain Foreign Corporations,
for each CFC.
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b Enter the number of Forms 5471 attached to the tax return
5

During the tax year, did the corporation receive a distribution from, or was it the grantor of, or transferor to, a
foreign trust?
If “Yes,” the corporation may have to file Form 3520, Annual Return To Report Transactions With Foreign Trusts
and Receipt of Certain Foreign Gifts.

6a At any time during the 2008 calendar year, did the corporation have an interest in or a signature or other authority
over a financial account (such as a bank account, securities account, or other financial account) in a foreign
country?
See the instructions for exceptions and filing requirements for Form TD F 90-22.1, Report of Foreign Bank and
Financial Accounts.
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b If “Yes,” enter the name of the foreign country
7a Is the corporation claiming the extraterritorial income exclusion?
If “Yes,” attach a separate Form 8873, Extraterritorial Income Exclusion, for each transaction or group of
transactions.
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b Enter the number of Forms 8873 attached to the tax return
c Enter the total of the amounts from line 52 (extraterritorial income exclusion (net of
© $
disallowed deductions)) of all Forms 8873 attached to the tax return

Instructions
Section references are to the Internal Revenue Code unless
otherwise noted.

Who Must File
Corporations that, at any time during the tax year, had assets
in or operated a business in a foreign country or a U.S.
possession may have to file Schedule N. If the corporation
answers “Yes” to any of the questions above, attach
Schedule N and the applicable forms and schedules to the
corporation’s income tax return.

Question 1a
Check the “Yes” box if the corporation is the “tax owner”
(defined below) of a foreign disregarded entity (FDE) or it is

required to file Form 5471 or Form 8865 with respect to a
CFC or a CFP that is the tax owner of an FDE.
Tax owner of an FDE. The tax owner of an FDE is the
person that is treated as owning the assets and liabilities of
the FDE for purposes of U.S. income tax law.
A corporation that is the tax owner of an FDE is generally
required to attach Form 8858 to its return. However, if the
Exception below applies, the corporation should attach a
statement (described below) in lieu of Form 8858.
Exception. In certain cases where a corporation owns an
FDE indirectly or constructively through a foreign entity, the
corporation may not be required to attach Form 8858. See
Who Must File on page 1 of the Instructions for Form 8858.

For Privacy Act and Paperwork Reduction Act Notice, see the Instructions for Form 1120.

Cat. No. 26294K

Schedule N (Form 1120) 2008

1
I.R.S. SPECIFICATIONS
TO BE REMOVED BEFORE PRINTING
INSTRUCTIONS TO PRINTERS
SCHEDULE N (FORM 1120), PAGE 2 OF 2
MARGINS; TOP 13mm (1⁄ 2 "), CENTER SIDES. PRINTS: HEAD TO HEAD
PAPER: WHITE WRITING, SUB. 20.
INK: BLACK
FLAT SIZE: 216mm (81⁄ 2 ") x 279mm (11")
PERFORATE: NONE
DO NOT PRINT — DO NOT PRINT — DO NOT PRINT — DO NOT PRINT

Schedule N (Form 1120) 2008

Page

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Statement in lieu of Form 8858. This statement must list
the name, country under whose laws the entity was
organized, and EIN (if any) of each applicable FDE.

Question 3

If the corporation owned at least a 10% interest, directly or
indirectly, in any foreign partnership (other than any
partnership for which a Form 8865 is attached to the tax
return), attach a statement listing the following information
for each foreign partnership. For this purpose, a foreign
partnership includes an entity treated as a foreign
partnership under Regulations section 301.7701-2 or
301.7701-3.
1. Name and EIN (if any) of the foreign partnership.

2. Identify which, if any, of the following forms the foreign
partnership filed for its tax year ending with or within the
corporation’s tax year: Form 1042, 1065 or 1065-B, or 8804.
3. Name of the tax matters partner (if any).
4. Beginning and ending dates of the foreign partnership’s
tax year.

Question 5

The corporation may be required to file Form 3520 if:
● It directly or indirectly transferred money or property to a
foreign trust (for this purpose, any U.S. person who created a
foreign trust is considered a transferor),
● It is treated as the owner of any part of the assets of a
foreign trust under the grantor trust rules, or
● It received a distribution from a foreign trust.

2

For more information, see the Instructions for Form 3520.
Note. An owner of a foreign trust must ensure that the trust
files an annual information return on Form 3520-A, Annual
Information Return of Foreign Trust With a U.S. Owner. For
details, see Form 3520-A.

Question 6

Check the “Yes” box if either 1 or 2 below applies to the
corporation. Otherwise, check the “No” box.
1. At any time during the 2008 calendar year, the
corporation had an interest in or signature or other authority
over a bank, securities, or other financial account in a foreign
country (see Form TD F 90-22.1) and:
● The combined value of the accounts was more than
$10,000 at any time during the calendar year and
● The account was not with a U.S. military banking facility
operated by a U.S. financial institution.
2. The corporation owns more than 50% of the stock in
any corporation that would answer “Yes” to item 1 above.
If “Yes” is checked for this question:
● Enter the name of the foreign country or countries (attach
a separate sheet if more space is needed) and
● File Form TD F 90-22.1 on or before June 30, 2009, with
the Department of the Treasury at the address shown on the
form. Because Form TD F 90-22.1 is not a tax form, do not
file it with the corporation’s tax return. You can order Form
TD F 90-22.1 by calling 1-800-TAX-FORM (1-800-829-3676)
or you can download it from the IRS website at
www.irs.gov.


File Typeapplication/pdf
File Title2008 Form 8810, Corporate Passive Activity Loss and Credit Limitations
Author3wpfb
File Modified2008-12-12
File Created2008-04-28

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