T.D. 8851, Return Requirement for United States Persons who acquire or dispose of an interest in a foreign partnership, or whose proportional interest in a foreign partnership changes..
ICR 201110-1545-030 · OMB 1545-1646 · Historical Active
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T.D. 8851, Return Requirement for United States Persons who acquire or dispose of an interest in a foreign partnership, or whose proportional interest in a foreign partnership changes..
Extension without change of a currently approved collection
This document contains final regulations under section 6046A of the Internal Revenue Code relating to the requirement that United States persons, in certain circumstances, file a return if they acquire or dispose of an interest in a foreign partnership, or if their proportional interest in a foreign partnership changes. The burden of complying with the collection of information required to be reported on Form 8865 is reflected in the burden for Form 8865, "Return of U.S. Persons With Respect to Certain Foreign Partnerships."
US Code:
26 USC 6046A
Name of Law: Returns as to organization or reorganization foreign corporations and as to acquisitions of their st
US Code:
26 USC 7805
Name of Law: Rules and regulations
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(ii) Use of information;
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