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Massachusetts Form 5472: What You Should Know
IRS forms 5472 and 5471. (Rev. November 2020) (PDF). IRS forms 5472 and 5471. (Rev. November 2020) (PDF). Form 5472, Reporting Foreign Shareholders, for foreign-owned subsidiaries of U.S. companies except publicly listed and publicly traded corporations. For taxable years with an exception, it is a separate filing. Form 5472, Reports of Shareholder Transfers, for dividends that are transferred in connection with transactions with a foreign person. (See IRS regulations section 6621.) Form 5471, Taxpayers' Obligations, to report certain transactions in which the reporting taxpayer receives an interest in a foreign corporation. Form 5472, Information Return of a 25% Foreign — IRS Categories of Information Nov 9, 2025 — There are three main sections in Form 5472. The primary sections are as follows: Section 1. § 1.1. Information reporting requirements, The section includes a table of contents listing the information required for section 602 transactions, a heading listing the relevant foreign section, a Table of Contents (PTC), and a discussion of the information required for § 602 transactions and § 602 acquisitions. Section 1 .2. Reporting schedule, Section 1.2 includes a table of contents listing the required information for the applicable reporting category, a general discussion of each of the reporting categories and a table of contents listing the required information for the particular reporting category, and a Table of Contents (PTC). Section 1 .2 also includes a discussion of the reporting requirements on Schedule B (Form 1120S). Section 1 .2 also provides details on the information required for the transaction reporting categories. Section 1.3. Reporting exceptions, Section 1.3 provides a table of contents listing the information required for the transaction reporting exceptions, a Description of the Reporting Requirements, a Section B (S-B) table of contents, and a Table of Contents (PTC). Section 1.4. Reporting transactions of foreign entities, Section 1.4 contains the information required for transactions of a foreign entity with U.S. persons included in the reporting category. Section 1.4 also provides the information required for a transaction in which the reporting player does not know the amount of the payment (Section M). Section 1 .4 also provides a summary of information required for an exempt transaction (Section A) and a table of contents (Section PTC).
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