Forms 5471 and 5472: Meeting the Substantially Complete Standards
Note: CLE credit is not offered on this program
A live 110-minute CPE webinar with interactive Q&A
This course will discuss best practices for meeting the substantially complete standard for international reporting required for Forms 5471 and 5472 and as applied to other required foreign information returns.
Outline
- Statutory provisions of IRC 6038A and 6038C
- Key definitions under statutory provisions and regulations
- Reporting corporations
- Reportable transactions
- Related parties
- Regulations (TD 9796) requiring foreign-owned DREs to file Form 5472
- Completing the form
- Penalties and penalty abatement provisions
- Impact of Farhy v. Commissioner on foreign reporting penalties
- Potential Claims for Refund
Benefits
The panel will review these and other critical issues:
- What foreign reporting deficiencies are considered substantially incomplete?
- What forms, in addition to Forms 5471 and 5472, are subject to substantial compliance requirements?
- What are the best steps to take toward penalty abatement for incomplete submissions?
- How are omission oversights best handled or corrected?
Faculty

Chaya Kundra
Attorney
Kundra & Associates
Ms. Kundra is a tax law adviser, litigator, and tax controversy attorney who operate practices in Maryland and... | Read More
Ms. Kundra is a tax law adviser, litigator, and tax controversy attorney who operate practices in Maryland and Washington, D.C. with clients local, nationwide, and residing all over the world. Her practice focuses on tax controversy and international tax compliance, among others. Her practice serves entrepreneurs, businesses and individuals with legal, tax and financial counseling.
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John Samtoy
Tax Partner
Holthouse Carlin & Van Trigt
Mr. Samtoy’s practice specializes in international tax compliance and consulting services, with a focus on... | Read More
Mr. Samtoy’s practice specializes in international tax compliance and consulting services, with a focus on individuals, closely-held businesses, and hedge funds. He has particular expertise in structuring and reporting foreign manufacturing arrangements and foreign holding companies, and is experienced in foreign asset disclosure requirements, as well as foreign trust and estate reporting.
CloseEarly Discount (through 06/23/23)
CPE credit processing is available for an additional fee of $39.
CPE processing must be ordered prior to the event.
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NASBA details.
Cannot Attend July 18?
Early Discount (through 06/23/23)
CPE credit is not available on downloads.
CPE On-Demand