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1120-f schedule i Form: What You Should Know

Department of the Treasury. Internal Revenue Service. 2222. Foreign Partnerships, Corporations, and S Corporations — Foreign Corporations — General Provisions. Section 1.883-4. Department of the Treasury. Internal Revenue Service. 2222. Foreign Partnerships, Corporations, and S Corporations — Foreign Corporations — General Provisions. Sec. 937. Foreign Corporations — Domestic Partnerships — Regulations. Department of the Treasury. Internal Revenue Service. 2222. Foreign Partnerships, Corporations, and S Corporations — Foreign Corporations — Domestic Partnerships — Regulations. Sec 937. Foreign Corporations — Domestic Partnerships — Regulations. 2222. Foreign Corporations — Domestic Partnerships — Regulations. SEC. 10. EXEMPTIONS FOR THE TAXPAYER. (a) EXEMPTIONS FOR Entities Subject to the Foreign Bankruptcy Act and the Nationality Act. (1) IN GENERAL.—Section 871(p)(3)(A) is amended by inserting after clause (iv) the following new clause: (v) any foreign bank, including a foreign branch, if— (I) the foreign bank is a domestic corporation, and (II) the foreign bank does not have a wholly owned or majority interest in the corporation. (2) EXCEPTIONS.—Section 871(p)(3)(B) is amended by inserting after clause (iv) the following new clauses: (v) any foreign bank (as defined in section 7704) if— (I) the foreign bank is a domestic corporation, and (II) the foreign bank has a wholly owned or majority interest in the corporation. (vii) any person related to the corporation under a general authority of the United States. (viii) a domestic corporation (as defined in section 7704), if— (I) the person acquired or held any interest in the corporation after the corporation was created, (II) the person acquired the interest primarily for investment and is not the spouse of the corporation's president, executive vice president, or manager, or (III) before the creation of the domestic corporation the person acquired an interest in the corporation. (via) a non-resident alien person if-- (I) the person is not an officer or employee of the corporation and its income is not a U.S.

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