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Page 1 of 16 Instructions for Form 5471 9:36 - 9-MAR-2007

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Department of the Treasury


Instructions for Form 5471 Internal Revenue Service

(Rev. February 2007)


(Use with the December 2005 revision of Form 5471 and schedules)
Information Return of U.S. Persons
With Respect to Certain Foreign Corporations
Section references are to the Internal Form 5471 and schedules to your income above) with respect to the foreign
Revenue Code unless otherwise noted. tax return. corporation;
• A U.S. person who acquires stock
What’s New Categories of Filers which, without regard to stock already
• The Tax Increase Prevention and owned on the date of acquisition, meets
Reconciliation Act of 2005 extended the Category 1 Filer the 10% stock ownership requirement
temporary exceptions for certain “active This filing requirement has been repealed with respect to the foreign corporation;
financing income” from subpart F foreign by section 413(c)(26) of the American • A person who is treated as a U.S.
personal holding company income, Jobs Creation Act of 2004, which shareholder under section 953(c) with
foreign base company services income, repealed section 6035. respect to the foreign corporation;
and insurance income. The exceptions • A person who becomes a U.S. person
now apply to tax years of foreign Category 2 Filer while meeting the 10% stock ownership
corporations beginning after December This includes a U.S. citizen or resident requirement with respect to the foreign
31, 1998, and before January 1, 2009, who is an officer or director of a foreign corporation; or
and to tax years of U.S. shareholders with corporation in which a U.S. person • A U.S. person who disposes of
or within any such tax year of the foreign (defined below) has acquired (in one or sufficient stock in the foreign corporation
corporation ends. For more information, more transactions): to reduce his or her interest to less than
see the instructions for Worksheet A the stock ownership requirement.
1. Stock which meets the 10% stock
beginning on page 6. ownership requirement (described below) For more information, see section
• The requirement for filing a duplicate with respect to the foreign corporation or 6046 and Regulations section 1.6046-1.
copy of Form 5471 and schedules has 2. An additional 10% or more (in value
been eliminated. or voting power) of the outstanding stock Category 4 Filer
of the foreign corporation. This includes a U.S. person who had
General Instructions control (defined below) of a foreign
A U.S. person has acquired stock in a corporation for an uninterrupted period of
Purpose of Form foreign corporation when that person has at least 30 days during the annual
Form 5471 is used by certain U.S. an unqualified right to receive the stock, accounting period of the foreign
citizens and residents who are officers, even though the stock is not actually corporation.
directors, or shareholders in certain issued. See Regulations section
1.6046-1(f)(1) for more details. U.S. person. For purposes of
foreign corporations. The form and Category 4, a U.S. person is:
schedules are used to satisfy the Stock ownership requirement. For 1. A citizen or resident of the United
reporting requirements of sections 6038 purposes of Category 2 and Category 3, States;
and 6046, and the related regulations. the stock ownership threshold is met if a 2. A nonresident alien for whom an
U.S. person owns: election is in effect under section 6013(g)
Who Must File 1. 10% or more of the total value of to be treated as a resident of the United
Generally, all U.S. persons described in the foreign corporation’s stock or States;
Categories of Filers below must complete 2. 10% or more of the total combined 3. An individual for whom an election
the schedules, statements, and/or other voting power of all classes of stock with is in effect under section 6013(h), relating
information requested in the chart, Filing voting rights. to nonresident aliens who become
Requirements for Categories of Filers, on residents of the United States during the
page 2. Read the information for each U.S. person. For purposes of Category 2 tax year and are married at the close of
category carefully to determine which and Category 3, a U.S. person is: the tax year to a citizen or resident of the
schedules, statements, and/or information 1. A citizen or resident of the United United States;
apply. States, 4. A domestic partnership;
If the filer is described in more than 2. A domestic partnership, 5. A domestic corporation; and
one filing category, do not duplicate 3. A domestic corporation, and 6. An estate or trust that is not a
information. However, complete all items 4. An estate or trust that is not a foreign estate or trust defined in section
that apply. For example, if you are the foreign estate or trust defined in section 7701(a)(31).
sole owner of a CFC (i.e., you are 7701(a)(31).
described in Categories 4 and 5), See Temporary Regulations section
complete all four pages of Form 5471 and See Temporary Regulations section 1.6038-2T(d) for exceptions.
separate Schedules J and M. 1.6046-1T(f)(3) for exceptions.
Control. A U.S. person has control of a
Note. Complete a separate Form 5471 Category 3 Filer foreign corporation if, at any time during
and all applicable schedules for each This category includes: that person’s tax year, it owns stock
applicable foreign corporation. • A U.S. person (defined above) who possessing:
acquires stock in a foreign corporation 1. More than 50% of the total
When and Where To File which, when added to any stock owned combined voting power of all classes of
Form 5471 is due when your income tax on the date of acquisition, meets the 10% stock of the foreign corporation entitled to
return is due, including extensions. Attach stock ownership requirement (described vote or

Cat. No. 49959G


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2. More than 50% of the total value of 2. Owns (either directly or indirectly, same foreign corporation for the same
shares of all classes of stock of the within the meaning of section 958(a)) any period, a joint information return that
foreign corporation. stock of a CFC (as defined in sections contains the required information may be
953(c)(1)(B) and 957(b)) that is also a filed with your income tax return or with
A person in control of a corporation captive insurance company. the income tax return of any one of the
that, in turn, owns more than 50% of the other persons. For example, a U.S.
combined voting power, or the value, of U.S. person. For purposes of person described in Category 5 may file a
all classes of stock of another corporation Category 5, a U.S. person is: joint Form 5471 with a Category 4 or
is also treated as being in control of such 1. A citizen or resident of the United another Category 5 filer. However, for
other corporation. States, Category 3 filers, the required information
Example. Corporation A owns 51% of 2. A domestic partnership, may only be filed by another person
the voting stock in Corporation B. 3. A domestic corporation, and having an equal or greater interest
Corporation B owns 51% of the voting 4. An estate or trust that is not a (measured in terms of value or voting
stock in Corporation C. Corporation C foreign estate or trust defined in power of the stock of the foreign
owns 51% of the voting stock in section 7701(a)(31). corporation).
Corporation D. Therefore, Corporation D The person that files Form 5471 must
is controlled by Corporation A. See section 957(c) for exceptions. complete Item D on page 1 of the form.
For more details on “control,” see CFC. A CFC is a foreign corporation that All persons identified in Item D must
Regulations sections 1.6038-2(b) and (c). has U.S. shareholders that own (directly, attach a statement to their income tax
indirectly, or constructively, within the return that includes the information
Category 5 Filer meaning of sections 958(a) and (b)) on described in the instructions for Item D on
This includes a U.S. shareholder who any day of the tax year of the foreign page 4.
owns stock in a foreign corporation that is corporation, more than 50% of:
Domestic corporations. Shareholders
a CFC for an uninterrupted period of 30 1. The total combined voting power of are not required to file the information
days or more during any tax year of the all classes of its voting stock or checked in the chart on this page for a
foreign corporation, and who owned that 2. The total value of the stock of the foreign insurance company that has
stock on the last day of that year. corporation. elected (under section 953(d)) to be
U.S. shareholder. For purposes of treated as a domestic corporation and
Category 5, a U.S. shareholder is a U.S. Exceptions From Filing has filed a U.S. income tax return for its
person who: Multiple filers of same information. tax year under that provision. See Rev.
1. Owns (directly, indirectly, or One person may file Form 5471 and the Proc. 2003-47, 2003-28 I.R.B. 55, for
constructively, within the meaning of applicable schedules for other persons procedural rules regarding the election
sections 958(a) and (b)) 10% or more of who have the same filing requirements. If under section 953(d).
the total combined voting power of all you and one or more other persons are Members of consolidated groups. A
classes of voting stock of a CFC or required to furnish information for the Category 4 filer is not required to file
Form 5471 for a corporation defined in
section 1504(d) that files a consolidated
return for the tax year.
Constructive owners.
Filing Requirements for Categories of Filers • A U.S. person described in Category 3
Category of Filer or 4 does not have to file Form 5471 if all
Required Information* 1 2 3 4 5 of the following conditions are met:
The identifying information on page 1 of Form 5471
1. The U.S. person does not own a
above Schedule A, see Specific Instructions ⻫ ⻫ ⻫ ⻫ direct interest in the foreign corporation,
2. The U.S. person is required to
Schedule A ⻫ ⻫ furnish the information requested solely
because of constructive ownership (as
determined under Regulations section
Schedule B ⻫ ⻫ 1.6038-2(c) or 1.6046-1(i)) from another
U.S. person, and
Schedules C, E, and F ⻫ ⻫ 3. The U.S. person through which the
indirect shareholder constructively owns
⻫ ⻫ ⻫ ⻫
an interest in the foreign corporation files
Schedule G
Form 5471 to report all of the required
information.
Schedule H ⻫ ⻫ • A Category 2 filer does not have to file
Form 5471 if:
Schedule I ⻫ ⻫ 1. Immediately after a reportable
stock acquisition, three or fewer U.S.
Separate Schedule J ⻫ ⻫ persons own 95% or more in value of the
outstanding stock of the foreign
corporation and the U.S. person making
Separate Schedule M ⻫ the acquisition files a return for the
acquisition as a Category 3 filer or
Separate Schedule O, Part I ⻫ 2. The U.S. person(s) for which the
Category 2 filer is required to file Form
5471 does not directly own an interest in
Separate Schedule O, Part II ⻫ the foreign corporation but is required to
*See also Additional Filing Requirements on page 3. furnish the information solely because of
constructive stock ownership from a U.S.
person and the person from whom the
stock ownership is attributed furnishes all
of the required information.
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• A Category 4 or 5 filer does not have to target corporation. See the Instructions
file Form 5471 if the shareholder: for Form 8883 for details.
Other Reporting
1. Does not own a direct or indirect • A seller (or its U.S. shareholder) must Requirements
interest in the foreign corporation and attach a copy of Form 8883 to the last Reporting Exchange Rates on
2. Is required to file Form 5471 solely Form 5471 for the old foreign target
because of constructive ownership from a Form 5471
corporation.
nonresident alien. When translating amounts from functional
currency to U.S. dollars, you must use the
method specified in these instructions.
Additional Filing Penalties For example, when translating amounts to
Requirements Failure to file information required by be reported on Schedule E, you generally
section 6038(a) (Form 5471 and must use the average exchange rate as
Category 3 filers. Category 3 filers must defined in section 986(a). But, regardless
attach a statement that includes: Schedule M).
of the specific method required, all
1. The amount and type of any • A $10,000 penalty is imposed for each exchange rates must be reported using a
indebtedness the foreign corporation has annual accounting period of each foreign “divide-by convention” rounded to at least
with the related persons described in corporation for failure to furnish the four places. That is, the exchange rate
Regulations section 1.6046-1(b)(11) and required information within the time must be reported in terms of the amount
2. The name, address, identifying prescribed. If the information is not filed by which the functional currency amount
number, and number of shares within 90 days after the IRS has mailed a must be divided in order to reflect an
subscribed to by each subscriber to the notice of the failure to the U.S. person, an equivalent amount of U.S. dollars. As
foreign corporation’s stock. additional $10,000 penalty (per foreign such, the exchange rate must be reported
corporation) is charged for each 30-day as the units of foreign currency that equal
Foreign sales corporations (FSCs). period, or fraction thereof, during which one U.S. dollar, rounded to at least four
• Category 2 and Category 3 filers who the failure continues after the 90-day places. Do not report the exchange rate
are shareholders, officers, and directors period has expired. The additional penalty as the number of U.S. dollars that equal
of a FSC (as defined in section 922) must is limited to a maximum of $50,000 for one unit of foreign currency.
file Form 5471 and separate Schedule O each failure. Note. You must round the result to more
to report changes in the ownership of the
FSC. • Any person who fails to file or report all than four places if failure to do so would
materially distort the exchange rate or the
• Category 4 and 5 filers are not subject of the information required within the time
equivalent amount of U.S. dollars.
to the subpart F rules for: prescribed will be subject to a reduction of
1. Exempt foreign trade income, 10% of the foreign taxes available for Example. During its annual
2. Deductions that are apportioned or credit under sections 901, 902, and 960. accounting period, the foreign corporation
allocated to exempt foreign trade income, If the failure continues 90 days or more paid income taxes of 30,255,400 Yen to
3. Nonexempt foreign trade income after the date the IRS mails notice of the Japan. The Schedule E instructions
(other than section 923(a)(2) nonexempt failure to the U.S. person, an additional specify that the foreign corporation must
income, within the meaning of 5% reduction is made for each 3-month translate these amounts into U.S. dollars
section 927(d)(6)), and period, or fraction thereof, during which at the average exchange rate for the tax
4. Any deductions that are the failure continues after the 90-day year to which the tax relates in
apportioned or allocated to the period has expired. See section accordance with the rules of section
nonexempt foreign trade income 6038(c)(2) for limits on the amount of this 986(a). The average exchange rate is
described above. penalty. 118.5050 Japanese Yen to 1 U.S. dollar
• Category 4 and 5 filers are subject to (0.00843846 U.S. dollars to 1 Japanese
the subpart F rules for: Yen). The foreign corporation divides
Failure to file information required by 30,255,400 Yen by 118.5050 to
1. All other types of FSC income section 6046 and the related determine the U.S. dollar amount to enter
(including section 923(a)(2) nonexempt regulations (Form 5471 and in column (d) of Schedule E. Line 2 of
income within the meaning of Schedule O). Any person who fails to file Schedule E is to be completed as follows:
section 927(d)(6)), or report all of the information requested Enter “Japan” in column (a), “30,255,400”
2. Investment income and carrying by section 6046 is subject to a $10,000 in column (b), “118.5050” in column (c),
charges (as defined in sections 927(c) penalty for each such failure for each and “255,309” in column (d).
and 927(d)(1)), and reportable transaction. If the failure
3. All other FSC income that is not continues for more than 90 days after the Computer-Generated
foreign trade income or investment date the IRS mails notice of the failure, an Form 5471 and Schedules
income or carrying charges. additional $10,000 penalty will apply for A computer-generated Form 5471 and its
• Category 4 and 5 filers are not required each 30-day period or fraction thereof schedules may be filed if they conform to
to file a Form 5471 (in order to satisfy the and do not deviate from the official form
during which the failure continues after
requirements of section 6038) if the FSC and schedules. Generally, all
has filed a Form 1120-FSC. See the 90-day period has expired. The
additional penalty is limited to a maximum computer-generated forms must receive
Temporary Regulations section prior approval from the IRS and are
1.921-1T(b)(3). However, these filers may of $50,000.
subject to an annual review.
be required to file Form 5471 if they are
subject to the subpart F rules with respect Criminal penalties. Criminal penalties Submit all requests for approval to:
to certain types of FSC income (see under sections 7203, 7206, and 7207 Internal Revenue Service, Attention:
above). may apply for failure to file the information Substitute Forms Program,
required by sections 6038 and 6046. SE:W:CAR:MP:T:T:SP, 1111 Constitution
Section 338 election. If a section 338 Avenue, NW, IR-6406, Washington, DC
election is made with respect to a 20224.
qualified stock purchase of a foreign Note. Any person required to file
Form 5471 and Schedule J, M, or O who Important: Be sure to attach the
target corporation for which a Form 5471
agrees to have another person file the approval letter to Form 5471.
must be filed:
• A purchaser (or its U.S. shareholder) form and schedules for him or her may be Every year, the IRS issues a revenue
must attach a copy of Form 8883, Asset subject to the above penalties if the other procedure to provide guidance for filers of
Allocation Statement Under Section 338, person does not file a correct and proper computer-generated forms. In addition,
to the first Form 5471 for the new foreign form and schedule. every year the IRS issues Pub. 1167,
Instructions for Form 5471 -3-
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General Rules and Specifications For The identifying number of all others is
Substitute Forms and Schedules, which
reprints the most recent applicable
Specific Instructions their employer identification number
(EIN). If a U.S. corporation that owns
revenue procedure. Pub. 1167 is Important: If the information required in stock in a foreign corporation is a member
available on the IRS website at a given section exceeds the space of a consolidated group, list the common
www.irs.gov. provided within that section, do not write parent as the person filing the return and
“see attached” in the section and then enter its EIN in Item A. Identify the direct
Dormant Foreign Corporations attach all of the information on additional owner in Item D.
Rev. Proc. 92-70, 1992-2 C.B. 435, sheets. Instead, complete all entry spaces
provides a summary filing procedure for in the section and attach the remaining Item B—Category of Filer
filing Form 5471 for a dormant foreign information on additional sheets. The
corporation (defined in sec. 3 of Rev. additional sheets must conform with the Complete Item B to indicate the category
Proc. 92-70). This summary filing IRS version of that section. or categories that describe the person
procedure will satisfy the reporting filing this return. If more than one
requirements of sections 6038 and 6046. Identifying Information category applies, check all boxes that
apply.
If you elect the summary procedure,
complete only page 1 of Form 5471 for Annual Accounting Period
each dormant foreign corporation as Enter, in the space provided below the Item C—Percentage of Voting
follows: title of Form 5471, the annual accounting Stock Owned
• The top margin of the summary return period of the foreign corporation for which Enter the total percentage of the foreign
must be labeled “Filed Pursuant to Rev. you are furnishing information. Except for corporation’s voting stock you owned
Proc. 92-70 for Dormant Foreign information contained on Schedule O, directly, indirectly, or constructively at the
Corporation.” report information for the tax year of the end of the corporation’s annual
• Include filer information such as name foreign corporation that ends with or accounting period.
and address, Items A through C, and tax within your tax year. When filing Schedule
year. O, report acquisitions, dispositions, and Item D—Person(s) on Whose
• Include corporate information such as organizations or reorganizations that Behalf This Information Return
the dormant corporation’s annual occurred during your tax year.
accounting period (below the title of the
Is Filed
Specified foreign corporation. The
form) and Items 1a, 1b, 1c, and 1d. The person that files the required
annual accounting period of a specified
For more information, see Rev. Proc. information on behalf of other persons
foreign corporation is generally required
92-70. must complete Item D. See Multiple filers
to be the tax year of the corporation’s
of same information on page 2. In
File this summary return in the manner majority U.S. shareholder. If there is more
addition, a separate Schedule I must be
described in When and Where To File on than one majority shareholder, the
filed for each person described in
page 1. required tax year will be the tax year that
Category 4 or 5.
results in the least aggregate deferral of
Treaty-Based Return Positions income to all U.S. shareholders of the Except for members of the filer’s
You are generally required to file foreign corporation. consolidated return group, all persons
Form 8833, Treaty-Based Return Position A specified foreign corporation is any identified in Item D must attach a
Disclosure Under Section 6114 or foreign corporation: statement to their income tax returns that
7701(b), to disclose a return position that
1. That is treated as a CFC under includes the following information:
any treaty of the United States (such as
an income tax treaty, an estate and gift subpart F and • A statement that their filing
tax treaty, or a friendship, commerce, and 2. In which more than 50% of the total requirements have been or will be
navigation treaty): voting power or value of all classes of satisfied;
• Overrides or modifies any provision of stock of the corporation is treated as • The name, address, and identifying
the Internal Revenue Code and owned by a U.S. shareholder. number of the return with which the
• Causes, or potentially causes, a For more information, see section 898
information was or will be filed; and
reduction of any tax incurred at any time. and Rev. Procs. 2002-37, 2002-22 I.R.B. • The IRS Service Center where the
See Form 8833 for exceptions. 1030, and 2002-39, 2002-22 I.R.B. 1046, return was or will be filed.
Failure to make a required disclosure as modified by Notice 2002-72, 2002-46
may result in a $1,000 penalty ($10,000 I.R.B. 843. Items 1f and 1g—Principal
for a C corporation). See section 6712. Name Change Business Activity
Enter the principal business activity code
Section 362(e)(2)(C) Elections If the name of either the person filing the number and the description of the activity
The transferor and transferee in certain return or the corporation whose activities from the list beginning on page 14.
section 351 transactions may make a joint are being reported changed within the
election under section 362(e)(2)(C) to past 3 years, show the prior name(s) in
parentheses after the current name. Item 1h—Functional Currency
limit the transferor’s basis in the stock
received instead of the transferee’s basis Enter the foreign corporation’s functional
Address currency. Regulations sections
in the transferred property. The transferor
and transferee may make the election by Include the suite, room, or other unit 1.6038-2(h) and 1.6046-1(g) require that
attaching the statement as provided in number after the street address. If the certain amounts be reported in U.S.
Notice 2005-70, 2005-41 I.R.B. 694, to post office does not deliver mail to the dollars and/or in the foreign corporation’s
their tax returns filed by the due date street address and the U.S. person has a functional currency. The specific
(including extensions) for the tax year in P.O. box, show the box number instead. instructions for the affected schedules
which the transaction occurred. Once Foreign address. Enter the information state these requirements.
made, the election is irrevocable. See in the following order: city, province or
state, and country. Follow the country’s Special rules apply for foreign
section 362(e)(2)(C) and Notice 2005-70. corporations that use the U.S. dollar
practice for entering the postal code, if
Do not attach the statement any. Do not abbreviate the country name. approximate separate transactions
! described above to Form 5471.
CAUTION Instead, attach the statement to Item A—Identifying Number
method of accounting (DASTM) under
Regulations section 1.985-3. See the
the foreign corporation’s timely filed tax The identifying number of an individual is instructions for Schedule C and
return. his or her social security number (SSN). Schedule H.

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CFC using the exchange rate in effect on through 4 the adjustments made in
Schedule B the date of payment. figuring current E&P for U.S. tax
Category 3 and 4 filers must complete purposes. Report these amounts in U.S.
Schedule B for U.S. persons that owned Enter the exchange rate used in dollars. Enter on line 5b the DASTM gain
(at any time during the annual accounting column (c). Report the exchange rate or loss figured under Regulations section
period), directly or indirectly through using the “divide-by convention” specified 1.985-3(d).
foreign entities, 10% or more in value or under Reporting Exchange Rates on
voting power of any class of the Form 5471 on page 3. Enter the Lines 2a through 2h. Certain
corporation’s outstanding stock. translated dollar amount in column (d). adjustments (required by Regulations
sections 1.964-1(b) and (c)) must be
Column (e). Enter each shareholder’s made to the foreign corporation’s line 1
allocable percentage of the foreign Schedule F net book income or (loss) to determine its
corporation’s subpart F income. If the foreign corporation uses DASTM, current E&P. These adjustments may
the tax balance sheet on Schedule F include both positive and negative
Schedule C should be prepared and translated into adjustments to conform the foreign book
If the foreign corporation uses the U.S. U.S. dollars according to Regulations income to U.S. GAAP and to U.S. tax
dollar approximate separate transactions section 1.985-3(d), rather than U.S. accounting principles. If the foreign
method of accounting (DASTM) under GAAP. corporation’s books are maintained in
Regulations section 1.985-3, the functional currency in accordance with
functional currency column should reflect Schedule G U.S. GAAP, enter on line 1 the functional
local hyperinflationary currency amounts currency GAAP income or (loss) from line
computed in accordance with U.S. Question 1 21 of Schedule C, rather than starting
Generally Accepted Accounting Principles with foreign book income, and show
If the foreign corporation owned at least a GAAP-to-tax adjustments on lines 2a
(GAAP). The U.S. dollar column should 10% interest, directly or indirectly, in any
reflect such amounts translated into through 2h.
foreign partnership, attach a statement
dollars under U.S. GAAP translation listing the following information for each
rules. Differences between this U.S. dollar Lines 2b and 2c. Generally,
foreign partnership: depreciation, depletion, and amortization
GAAP column and the U.S. dollar income
or loss figured for tax purposes under 1. Name and EIN (if any) of the allowances must be based on the
Regulations section 1.985-3(c) should be foreign partnership; historical cost of the underlying asset, and
accounted for on Schedule H. See 2. Identify which, if any, of the depreciation must be figured according to
Schedule H, Special rules for DASTM, following forms the foreign partnership section 167. However, if 20% or more of
below. filed for its tax year ending with or within the foreign corporation’s gross income is
the corporation’s tax year: Form 1042, from U.S. sources, depreciation must be
Line 19. The terms “extraordinary items” 1065 or 1065-B, or 8804; figured on a straight line basis according
and “prior period adjustments” have the 3. Name of the tax matters partner (if to Regulations section 1.312-15.
same meaning given to them by U.S. any); and
GAAP (see Opinion No. 30 of the 4. Beginning and ending dates of the Line 2f. Inventories must be taken into
Accounting Principles Board and foreign partnership’s tax year. account according to the rules of
Statement No. 16 of the Financial sections 471 (incorporating the provisions
Accounting Standards Board). of section 263A) and 472 and the related
Question 3 regulations.
Line 20. Enter the income, war profits, Check the “Yes” box if the foreign
and excess profits taxes deducted in corporation is the tax owner of a foreign Line 2g. See the instructions for
accordance with U.S. GAAP. disregarded entity (FDE). The “tax owner” Schedule C, line 20 above.
of an FDE is the person that is treated as
Important: Differences between this owning the assets and liabilities of the Line 2h. Enter the net amount of any
functional currency amount and the FDE for purposes of U.S. income tax law. additional adjustments not included on
amount of taxes that reduce U.S. E&P lines 2a through 2g. List these additional
should be accounted for on line 2g of If the foreign corporation is the tax adjustments on a separate schedule.
Schedule H. owner of an FDE and you are a category Attach this schedule to Form 5471.
4 or 5 filer of Form 5471, you are required
to attach Form 8858 to Form 5471. Line 5b. DASTM gain or (loss), reflecting
Schedule E unrealized exchange gain or loss, should
List income, war profits, and excess If the foreign corporation is the tax be entered on line 5b only for foreign
profits taxes paid or accrued to the United owner of an FDE and you are not a corporations that use DASTM.
States and to any foreign country or U.S. category 4 or 5 filer of Form 5471, you
possession for the annual accounting must attach the statement described Line 5d. Enter the line 5c functional
period. Report these amounts in column below in lieu of Form 8858. currency amount translated into U.S.
(b) in the local currency in which the taxes dollars at the average exchange rate for
Statement in lieu of Form 8858. This
are payable. Translate these amounts the foreign corporation’s tax year. See
statement must list the name of the FDE,
into U.S. dollars at the average exchange section 989(b). Report the exchange rate
country under whose laws the FDE was
rate for the tax year to which the tax using the “divide-by convention” specified
organized, and EIN (if any) of the FDE.
relates unless one of the exceptions under Reporting Exchange Rates on
below applies. See section 986(a). Form 5471 on page 3. If the foreign
Exceptions. If one of the following
Schedule H corporation uses DASTM, enter on line 5d
Use Schedule H to report the foreign the same amount entered on line 5c.
exceptions applies, use the exchange
rate in effect on the date you paid the tax. corporation’s current earnings and profits
(E&P) for U.S. tax purposes. Enter the Blocked income. The E&P of the foreign
1. The tax is paid before the amounts on lines 1 through 5c in corporation, as reflected on Schedule H,
beginning of the year to which the tax functional currency. must not be reduced by all or any part of
relates. such E&P that could not have been
2. For tax years beginning after Special rules for DASTM. If the foreign distributed by the foreign corporation due
December 31, 2004, there is an election corporation uses DASTM, enter on line 1 to currency or other restrictions or
in effect under section 986(a)(1)(D) to the dollar GAAP income or (loss) from limitations imposed under the laws of any
translate foreign taxes attributable to the line 21 of Schedule C. Enter on lines 2a foreign country.

Instructions for Form 5471 -5-


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corporate U.S. shareholder, enter the person” (as defined in section 954(d)(3));
Schedule I result on line 14, Schedule C, Form 1120, and
Use Schedule I to report in U.S. dollars or on the comparable line of other • Dividends, interest, rent or royalty
the U.S. shareholder’s pro rata share of corporate income tax returns. For a income from related corporate payors
income from the foreign corporation noncorporate U.S. shareholder, enter the described in section 954(c)(3). However,
reportable under subpart F and other result on Form 1040, line 9a (and, if see section 964(e) for an exception.
income realized from a corporate applicable, on Schedule B (Form 1040), Interest income includes factoring
distribution. line 5), or on the comparable line of other income arising when a person acquires a
Line 1 noncorporate income tax returns. trade or service receivable (directly or
indirectly) from a related person. The
Subpart F income. Generally, the Line 7 income is treated as interest on a loan to
income of a foreign corporation with U.S. Enter the dividends you received from the the obligor under section 864(d)(1) and is
shareholders is not taxed to those U.S. foreign corporation that were not generally not eligible for the de minimis,
shareholders until the income is previously taxed under subpart F in the export financing, and related party
repatriated to the United States (e.g., current year or in any prior year. exceptions to the inclusion of subpart F
through the payment of dividends to the income. Also, a trade or service
U.S. shareholders or in the form of gain Line 8 receivable acquired or treated as
on the disposition of the U.S. If previously taxed E&P described in acquired by a CFC from a related U.S.
shareholders’ stock in the foreign section 959(a) or (b) was distributed, person is considered an investment in
corporation). However, this deferral of enter the amount of foreign currency gain U.S. property for purposes of section 956
U.S. tax is not available to U.S. or (loss) on the distribution, computed (Worksheet B) if the obligor is a U.S.
shareholders of CFCs with certain types under section 986(c). See Notice 88-71, person.
of income, including subpart F income. 1988-2 C.B. 374, for rules for computing
For more information, see sections 951 Line 1b. Enter the excess of gains over
section 986(c) gain or (loss). losses from the sale or exchange of:
and 952.
For a corporate U.S. shareholder, • Property that produces the type of
Use Worksheet A (which begins on include the gain or (loss) as “other income reportable on line 1a. For tax
page 8) to compute the U.S. income” on line 10 of Form 1120, or on years beginning after December 31,
shareholder’s pro rata share of subpart F the comparable line of other corporate 1998, and before January 1, 2009, see
income of the CFC. Subpart F income income tax returns. For a noncorporate section 954(c)(1)(B)(i).
includes the following: U.S. shareholder, include the result as • An interest in a trust, partnership, or
• Adjusted net foreign base company “other income” on line 21 of Form 1040, REMIC. However, see the instructions for
income (lines 1 through 19); or on the comparable line of other line 1i for an exception that provides for
• Adjusted net insurance income (line noncorporate income tax returns. look-through treatment for certain sales of
20); partnership interests.
• Adjusted net related person insurance • Property that does not produce any
income (line 21); Worksheet A income.
• International boycott income (line 22); Do not include:
• Illegal bribes, kickbacks, and other Important: For tax years beginning after
• Income, gain, deduction, or loss from
payments (line 23); and December 31, 2004, foreign base
• Income from a country described in company income does not include foreign any transaction (including a hedging
section 952(a)(5) (line 24). base company shipping income as transaction) and transactions involving
defined in former section 954(f). physical settlement of a regular dealer in
Important: If the subpart F income of property, forward contracts, option
any CFC for any tax year was reduced For tax years beginning after contracts, and similar financial
because of the current E&P limitation December 31, 1998, and before January instruments (section 954(c)(2)(C)).
(see the instructions for line 29 of 1, 2009, the following exceptions apply: • Gains and losses from the sale or
Worksheet A on page 10), any excess of • Foreign personal holding company exchange of any property that, in the
the E&P of the CFC for any subsequent income generally shall not include income hands of the CFC, is property described
tax year over the subpart F income of the derived in the active conduct of a CFC of in section 1221(a)(1).
CFC for the tax year must be a banking, finance, or similar business Line 1c. Enter the excess of gains over
recharacterized as subpart F income. (section 954(h)). losses from transactions (including
• Foreign personal holding company and futures, forward, and similar transactions)
Lines 2 Through 4 insurance income shall not include certain
Other amounts not eligible for deferral in any commodities. See section
investment income derived by a qualifying 954(c)(1)(C) for exceptions. See section
that are reported on Schedule I include: insurance company and by certain
• Earnings invested in U.S. property 954(c)(5) for a definition and special rules
qualifying insurance branches (sections relating to commodity transactions.
(Worksheet B); 953(a)(2) and 954(i)).
• Amounts withdrawn from qualified • Foreign base company services Line 1d. Enter the excess of foreign
investments in less developed countries income shall not include income that is currency gains over foreign currency
and amounts withdrawn from qualified exempt insurance income under section losses from section 988 transactions. An
investments in foreign base company 953(e) or that is not treated as foreign exception applies to transactions directly
shipping operations (Worksheet C); and personal holding company income under related to the business needs of a CFC.
• Amounts withdrawn from investment in the active conduct of an insurance Line 1e. Enter any income equivalent to
export trade assets (Worksheet D). business exception (section 954(i)); the interest, including income from
active conduct of a banking, financing, or commitment fees (or similar amounts) for
Line 5 similar business exception (section loans actually made.
Enter the factoring income (as defined in 954(h)); or the securities dealer exception Line 1f. Include net income from notional
section 864(d)(1)) if no subpart F income (section 954(c)(2)(C)(ii)). principal contracts (except a contract
is reported on line 1a, Worksheet A, entered into to hedge inventory property).
because of the operation of the de Line 1a. Do not include the following:
minimis rule (see lines 1a, 9, and 11 of • Interest from conducting a banking Line 1g. Include payments in lieu of
Worksheet A and the related instructions). business that is “export financing interest” dividends that are made as required
(section 904(d)(2)(G)); under section 1058.
Line 6 • Rents and royalties from actively Line 1h. Enter amounts received:
Add lines 1 through 5. Enter the result conducting a trade or business received • Under a contract under which the
here and on your income tax return. For a from a person other than a “related corporation is to furnish personal services
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if (a) some person other than the entire gross income for the tax year must (directly or indirectly under the principles
corporation has a right to designate (by (subject to the high tax exception of section 883(c)(4)) by persons who are
name or by description) the individual described below, the section 952(b) (directly or indirectly) insured under any
who is to perform the services or (b) the exclusion, and the deductions to be taken policy of insurance or reinsurance issued
individual who is to perform the services into account under section 954(b)(5)) be by the corporation or who are related
is designated (by name or by description) treated as foreign base company income persons to any such person;
in the contract, and or insurance income, whichever is • The related person insurance income
• From the sale or other disposition of appropriate. In this case, enter total gross (determined on a gross basis) of the
such a contract. income (for income tax purposes) on line corporation for the tax year is less than
Note. The above rules apply with respect 12. Otherwise, enter zero. 20% of its insurance income for the tax
to amounts received for services under a Lines 14g, 15d, 16d, 18d, 20d, and 21d. year determined without regard to the
particular contract only if at some time Exception for certain income subject provisions of section 953(a)(1) that limit
during the tax year 25% or more in value to high foreign taxes. Foreign base insurance income to income from
of the outstanding stock of the corporation company income and insurance income countries other than the country in which
is owned, directly or indirectly, by or for does not include any item of income the corporation was created or organized;
the individual who has performed, is to received by a CFC if the taxpayer or
perform, or may be designated (by name establishes that such income was subject • The corporation:
or by description) as the one to perform, to an effective rate of income tax imposed 1. Elects to treat its related person
such services. by a foreign country that is greater than insurance income for the tax year as
Line 1i. For tax years beginning after 90% of the maximum rate of tax specified income effectively connected with the
December 31, 2004, in the case of any in section 11. This rule does not apply to conduct of a trade or business in the
sale by a CFC of an interest in a foreign base company oil-related income. United States;
partnership with respect to which the CFC For more information, see section 2. Elects to waive all treaty benefits
is a 25% owner (defined below), such 954(a)(5) and Regulations section (other than from section 884) for related
CFC is treated for purposes of computing 1.954-1(d)(1). person insurance income; and
its foreign personal holding company Line 20. Adjusted net insurance 3. Meets any requirement the IRS
income as selling the proportionate share income. In determining a shareholder’s may prescribe to ensure that any tax on
of the assets of the partnership pro rata share of the subpart F income of such income is paid.
attributable to such interest. Thus, the a CFC, insurance income is any income: This election will not be effective if the
sale of a partnership interest by a CFC • That is attributable to the issuing (or corporation was a disqualified corporation
that meets the ownership threshold reinsuring) of any insurance or annuity (as defined in section 953(c)(3)(E)) for the
constitutes subpart F income only to the contract: tax year for which the election was made
extent that a proportionate sale of the 1. For property in, liability from an or for any prior tax year beginning after
underlying partnership assets attributable activity in, or for the lives or health of 1986. See section 953(c)(3)(D) for special
to the partnership interest would residents of a country other than the rules for this election.
constitute subpart F income. Do not country under the laws of which the CFC Mutual life insurance companies. The
report these amounts on line 1b. Instead, is created or organized or related person insurance income rules
report them on new line 1i. 2. For risks not described in 1 above, also apply to mutual life insurance
25% owner. For purposes of these rules, resulting from any arrangement in which companies under regulations prescribed
a 25% shareholder is a CFC that owns another corporation receives a by the Secretary. For these purposes,
directly 25% or more of the capital or substantially equal amount of premiums policyholders must be treated as
profits interest in a partnership. For or other consideration for issuing (or shareholders.
purposes of the preceding sentence, if a reinsuring) a contract described in 1 Line 22. International boycott income.
CFC is a shareholder or partner of a above. If a CFC or a member of a controlled
corporation or partnership, the CFC is • That would, subject to the modifications group (within the meaning of section
treated as owning directly its provided in sections 953(b)(1) and 993(a)(3)) that includes the CFC has
proportionate share of any such capital or 953(b)(2), be taxed under subchapter L operations in, or related to, a country (or
profits interest held directly or indirectly by (insurance company tax) if such income with the government, a company, or a
such corporation or partnership. If a CFC were income of a domestic insurance national of a country) that requires
is treated as owning a capital or profits company. participation in or cooperation with an
interest in a partnership under Line 21. Adjusted net related person international boycott as a condition of
constructive ownership rules similar to the insurance income. In determining a doing business within such country or
rules of section 958(b), the CFC shall be shareholder’s pro rata share of the with the government, company, or
treated as owning such interest directly or subpart F income of a CFC, related national of that country, a portion of the
indirectly for purposes of this definition. person insurance income is any CFC’s income is included in subpart F
Line 11. De minimis rule. If the sum of insurance income (within the meaning of income. The amount included is
foreign base company income section 953(a)) attributable to a policy of determined by multiplying the CFC’s
(determined without regard to section insurance or reinsurance for which the income (other than income included
954(b)(5)) and gross insurance income person insured (directly or indirectly) is a under section 951 and U.S. source
(as defined in section 954(b)(3)(C)) for U.S. shareholder (as defined in section effectively connected business income
the tax year is less than the smaller of 953(c)(1)(A)) in a CFC, or a related described in section 952(b)) by the
5% of gross income for income tax person (as defined in section 953(c)(6)) to international boycott factor. This factor is
purposes, or $1 million, then no portion of such a shareholder. In such case, the pro a fraction determined on Schedule A
the gross income for the tax year is rata share referred to above is to be (Form 5713).
treated as foreign base company income determined under the rules of section Special rule. If the shareholder of a CFC
or insurance income. In this case, enter 953(c)(5). can clearly demonstrate that the income
zero on line 11 and skip lines 12 Exceptions. The above definition does earned for the tax year is from specific
through 21. Otherwise, go to line 12. not apply to any foreign corporation if: operations, then, instead of applying the
Line 12. Full inclusion rule. If the sum • At all times during the foreign international boycott factor, the addition to
of foreign base company income corporation’s tax year, less than 20% of subpart F income is the amount
(determined without regard to section the total combined voting power of all specifically from the operations in which
954(b)(5)) and gross insurance income classes of stock of the corporation entitled there was participation in or cooperation
for the tax year exceeds 70% of gross to vote, and less than 20% of the total with an international boycott. See
income for income tax purposes, the value of the corporation, is owned Schedule B (Form 5713).
Instructions for Form 5471 -7-
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Worksheet A—Foreign Base Company Income and Insurance Income and Summary of U.S. Shareholder’s Pro
Rata Share of Subpart F Income of a CFC (See instructions beginning on page 6.)
Enter the amounts on lines 1a through 38a in functional currency.
1 Gross foreign personal holding company income:
a Dividends, interest, royalties, rents, and annuities (section 954(c)(1)(A)
(excluding amounts described in sections 954(c)(2), (3), and (6))) 1a
b Excess of gains over losses from certain property transactions
(section 954(c)(1)(B)) 1b
c Excess of gains over losses from commodity transactions (section 954(c)(1)(C)) 1c
d Excess of foreign currency gains over foreign currency losses (section 954(c)(1)(D)) 1d
e Income equivalent to interest (section 954(c)(1)(E)) 1e
f Net income from a notional principal contract (section 954(c)(1)(F)) 1f
g Payments in lieu of dividends (section 954(c)(1)(G)) 1g
h Certain amounts received for services under personal service
contracts (see section 954(c)(1)(l)) 1h
i Certain amounts from sales of partnership interests to which the
look-through rule of section 954(c)(4) applies 1i
2 Gross foreign personal holding company income. Add lines 1a through 1i 2
3 Gross foreign base company sales income (see section 954(d)) 3
4 Gross foreign base company services income (see section 954(e)) 4
5 Gross foreign base company oil-related income (see section 954(g)) after application of section 954(b)(6) 5
6 Gross foreign base company income. Add lines 2 through 5 6
7 Gross insurance income (see sections 953 and 954(b)(3)(C) and the instructions for lines 20 and 21) 7
8 Gross foreign base company income and gross insurance income. Add lines 6 and 7 8
9 Enter 5% of total gross income (as computed for income tax purposes) 9
10 Enter 70% of total gross income (as computed for income tax purposes) 10
11 If line 8 is less than line 9 and less than $1 million, enter -0- on this line and skip lines 12 through 21 11
12 If line 8 is more than line 10, enter total gross income (as computed for income tax purposes) 12
13 Total adjusted gross foreign base company income and insurance income (enter the greater
of line 8 or line 12) 13
14 Adjusted net foreign personal holding company income:
a Enter amount from line 2 14a
b Expenses directly related to amount on line 2 14b
c Subtract line 14b from line 14a 14c
d Related person interest expense (see section 954(b)(5)) 14d
e Other expenses allocated and apportioned to the amount on line 2
under section 954(b)(5) 14e
f Net foreign personal holding company income. Subtract the sum of
lines 14d and 14e from line 14c 14f
g Net foreign personal holding company income excluded under
high-tax exception 14g
h Subtract line 14g from line 14f 14h
15 Adjusted net foreign base company sales income:
a Enter amount from line 3 15a
b Expenses allocated and apportioned to the amount on line 3 under
section 954(b)(5) 15b
c Net foreign base company sales income. Subtract line 15b from line 15a 15c
d Net foreign base company sales income excluded under high-tax exception 15d
e Subtract line 15d from line 15c 15e
16 Adjusted net foreign base company services income:
a Enter amount from line 4 16a
b Expenses allocated and apportioned to line 4 under section 954(b)(5) 16b
c Net foreign base company services income. Subtract line 16b from line 16a 16c
d Net foreign base company services income excluded under high-tax exception 16d
e Subtract line 16d from line 16c 16e

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Worksheet A (continued) (See instructions.)


17 Adjusted net foreign base company oil-related income:
a Enter amount from line 5 17a
b Expenses allocated and apportioned to line 5 under section 954(b)(5) 17b
c Subtract line 17b from line 17a 17c
18 Adjusted net full inclusion foreign base company income:
a Enter the excess, if any, of line 12 over line 8 18a
b Expenses allocated and apportioned under section 954(b)(5) 18b
c Net full inclusion foreign base company income. Subtract line 18b
from line 18a 18c
d Net full inclusion foreign base company income excluded under
high-tax exception 18d
e Subtract line 18d from line 18c 18e
19 Adjusted net foreign base company income. Add lines 14h, 15e, 16e, 17c, and 18e 19
20 Adjusted net insurance income (other than related person insurance income):
a Enter amount from line 7 (other than related person insurance income) 20a
b Expenses allocated and apportioned to the amount from line 7 under
section 953 20b
c Net insurance income. Subtract line 20b from line 20a 20c
d Net insurance income excluded under high-tax exception 20d
e Subtract line 20d from line 20c 20e
21 Adjusted net related person insurance income:
a Enter amount from line 7 that is related person insurance income 21a
b Expenses allocated and apportioned to related person insurance
income under section 953 21b
c Net related person insurance income. Subtract line 21b from line 21a 21c
d Net related person insurance income excluded under high-tax exception 21d
e Subtract line 21d from line 21c 21e
22 International boycott income (section 952(a)(3)) 22
23 lllegal bribes, kickbacks, and other payments (section 952(a)(4)) 23
24 lncome described in section 952(a)(5) (see instructions) 24
25 Subpart F income before application of sections 952(b) and (c) and section 959(b). Add lines
19, 20e, 21e, and 22 through 24 25
26 Enter portion of line 25 that is U.S. source income effectively
connected with a U.S. trade or business (section 952(b)) 26
27 Exclusions under section 959(b) 27
28 Total subpart F income. Subtract the sum of lines 26 and 27 from line 25 28
29 Current E&P 29
30 Enter the smaller of line 28 or line 29 30
31 Shareholder’s pro rata share of line 30 31
32 Shareholder’s pro rata share of export trade income 32
33 Subtract line 32 from line 31 33
34 Divide the number of days in the tax year that the corporation was a CFC
by the number of days in the tax year and multiply the result by line 33 34
35 Dividends paid to any other person with respect to your stock during
the tax year 35
36 Divide the number of days in the tax year you did not own such stock
by the number of days in the tax year and multiply the result by line 33 36
37 Enter the smaller of line 35 or line 36 37
38a Shareholder’s pro rata share of subpart F income. Subtract line 37 from line 34 38a
b Translate the amount on line 38a from functional currency to U.S. dollars at the average exchange
rate. See section 989(b). Enter the result here and on line 1, Schedule I 38b

Instructions for Form 5471 -9-


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Worksheet B—U.S. Shareholder’s Pro Rata Share of Earnings of a CFC Invested in U.S. Property
Enter the amounts on lines 1 through 16 in functional currency.
1 Amount of U.S. property (as defined in sections 956(c) and (d)) held (directly or indirectly) by
the CFC as of the close of:
a The first quarter of the tax year 1a
b The second quarter of the tax year 1b
c The third quarter of the tax year 1c
d The fourth quarter of the tax year 1d
2 Number of quarter-ends the foreign corporation was a CFC during the tax year 䊳 2
3 Average amount of U.S. property held (directly or indirectly) by the CFC as of the close of each
quarter of the tax year. (Add lines 1a through 1d. Divide this amount by the number on line 2.) 3
4 U.S. shareholder’s pro rata share of the amount on line 3 4
5 U.S. shareholder’s earnings and profits described in section 959(c)(1)(A) after reductions (if any)
for current year distributions 5
6 Subtract line 5 from line 4 6
7 Applicable earnings:
a Current earnings and profits 7a
b Line 7a plus accumulated earnings and profits 7b
8 Enter the greater of line 7a or line 7b 8
9 Distributions made by the CFC during the tax year 9
10 Subtract line 9 from line 8 10
11 Earnings and profits described in section 959(c)(1) 11
12 Subtract line 11 from line 10 12
13 U.S. shareholder’s pro rata share of the amount on line 12 13
14 U.S. shareholder’s earnings invested in U.S. property. (Enter the smaller of line 6 or line 13) 14
15 Amount on line 14 that is excluded from the U.S. shareholder’s gross income under section 959(a)(2) 15
16 Subtract line 15 from line 14 16
17 Translate the amount on line 16 from functional currency to U.S. dollars at the year-end spot
rate (as provided in section 989(b)). Enter the result here and on line 2 of Schedule I 17

Line 23. Illegal bribes, kickbacks, and the gross income of a U.S. shareholder of otherwise be the current section 956
other payments. Enter the total of any a CFC under section 951(a)(1)(A)(i) for inclusion.
illegal bribes, kickbacks, or other any tax year and attributable to a qualified Note. The previously taxed accounts
payments (within the meaning of section activity must be reduced by the should be adjusted to reflect any
162(c)) paid by or on behalf of the shareholder’s pro rata share of any reclassification of subpart F inclusions
corporation, directly or indirectly, to an qualified deficit (see section 952(c)(1)(B)). that reduced prior section 956 or 956A
official, employee, or agent of a inclusions (see section 959(a)(2) and
Certain current year deficits of a
government. Schedule J).
member of the same chain of
Line 24. Income described in section corporations may be considered in Distributions are also taken into
952(a)(5). The income of a CFC derived determining subpart F income. See account before the section 956 inclusion
from any foreign country during any section 952(c)(1)(C). is determined. Distributions generally are
period during which section 901(j) applies
treated as coming first from (and thus
to such foreign country will be deemed to
Worksheet B reducing the balances of) the previously
be income to the U.S. shareholders of
taxed accounts. Thus, the U.S.
such CFC. As of the date these Use Worksheet B (above) to determine a shareholders must:
instructions were revised, section 901(j) U.S. shareholder’s pro rata share of
applied to: Cuba, Iran, North Korea, earnings of a CFC invested in U.S. 1. Compute the current subpart F
Sudan, and Syria. property that is subject to tax. Only inclusion (potentially increasing that
earnings of a CFC not distributed or previously taxed account);
Line 26. Exclusion of U.S. income. 2. Take into account current
Subpart F income does not include any otherwise previously taxed are subject to
these rules. Thus, the amount of distributions (potentially reducing the
U.S. source income (which, for these previously taxed and untaxed accounts);
purposes, includes all carrying charges previously untaxed earnings limits the
section 956 inclusion. A CFC’s and
and all interest, dividends, royalties, and 3. Compute the current section 956
other investment income received or investment in U.S. property in excess of
this limit will not be included in the taxable inclusion (potentially increasing or
accrued by a FSC) that is effectively reclassifying the previously taxed
connected with a CFC’s conduct of a income of the CFC’s U.S. shareholders.
accounts).
trade or business in the United States Further, U.S. shareholders are only
unless that item is exempt from taxation taxed on earnings invested in U.S. U.S. property is measured on a
(or is subject to a reduced rate of tax) property to the extent the investments quarterly average basis. For purposes of
pursuant to a treaty obligation of the exceed the CFC’s previously taxed Worksheet B, the amount taken into
United States or the Code. earnings. The balances in the previously account with respect to U.S. property is
Line 29. Current E&P. A CFC’s subpart taxed accounts of prior section 956 its adjusted basis for earnings and profits
F income is limited to its current year inclusions (see section 959(c)(1)(A)) and purposes, reduced by any liability the
E&P, computed under the special rule of current or prior subpart F inclusions (see property is subject to. See sections 956(c)
section 952(c)(3). The amount included in section 959(c)(2)) reduce what would and (d) for the definition of U.S. property.
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Worksheet C—U.S. Shareholder’s Pro Rata Share of Previously Excluded Subpart F Income of a CFC
Withdrawn From Qualified Investments in Less Developed Countries and From Qualified
Investments in Foreign Base Company Shipping Operations
Enter the amounts on lines 1 through 6a in functional currency.

1 Decrease in qualified investments in less developed countries (see Regulations section


1.955-1(b)(1)) and foreign base company shipping operations (see Regulations section
1.955A-1(b)(1)) 1
2 Limitation (see Regulations section 1.955-1(b)(2)):
a Enter the sum of E&P for the tax year and E&P accumulated for prior
tax years beginning after 1962 2a

b Enter the sum of amounts invested in less developed countries or


foreign base company shipping operations and excluded from foreign
base company income for all prior tax years, minus the sum of such
amounts withdrawn for such years (see Regulations section
1.955-1(b)(2)(i)) 2b
3 Enter the smaller of line 2a or line 2b 3
4 Previously excluded subpart F income withdrawn for the tax year (enter the smaller of line 1 or
line 3) 4
5 U.S. shareholder’s pro rata share of line 4 (see Regulations section 1.955-1(c)) 5
6a Divide the number of days in the tax year that the foreign corporation was a CFC by the number
of days in the tax year and multiply the result by line 5 6a
b Translate the amount on line 6a from functional currency to U.S. dollars at the average exchange
rate. See section 989(b). Enter the result here and on line 3, Schedule I 6b

Worksheet D—U.S. Shareholder’s Pro Rata Share of Previously Excluded Export Trade Income of a CFC
Withdrawn From Investment in Export Trade Assets
Enter the amounts on lines 1 through 7a in functional currency.
1 Decrease in investments of the CFC in export trade assets (see Regulations section 1.970-1(d)(3)) 1
2 U.S. shareholder’s pro rata share of line 1 2
3 U.S. shareholder’s pro rata share of the sum of E&P of the CFC for the tax year and E&P
accumulated for prior tax years beginning after 1962 (see Regulations section 1.970-1(c)(2)(ii)) 3
4 Limitation under section 970(b) (see Regulations section 1.970-1(c)(2)(i)):
a U.S. shareholder’s pro rata share of the sum of the amounts by which
the CFC’s subpart F income for prior tax years was reduced under
section 970(a) 4a
b U.S. shareholder’s pro rata share of the sum of the amounts that were
not included in subpart F income of the CFC for prior tax years
because of Regulations section 1.972-1 4b
c Add lines 4a and 4b 4c
d U.S. shareholder’s pro rata share of the sum of the amounts that were
previously included in his or her gross income for prior tax years under
section 951(a)(1)(A)(ii) because of section 970(b) 4d
5 Subtract line 4d from line 4c 5
6 Enter the smallest of line 2, 3, or 5 6
7a Divide the number of days in the tax year that the foreign corporation was a CFC by the number
of days in the tax year and multiply the result by line 6 7a
b Translate the amount on line 7a from functional currency to U.S. dollars at the average exchange
rate. See section 989(b). Enter the result here and on line 4, Schedule I 7b

The amount of U.S. property held (directly If the foreign corporation ceases to be • The CFC’s U.S. property for the taxable
or indirectly) by the CFC does not include a CFC during the tax year: year will be determined only by taking into
any item that was acquired by the foreign • The determination of the U.S. account quarters ending on or before
corporation before it became a CFC, shareholder’s pro rata share will be made such last day (and investments in U.S.
except for the property acquired before based upon the stock owned (within the property as of the close of subsequent
the foreign corporation became a CFC meaning of section 958(a)) by the U.S. quarters should be recorded as zero on
that exceeds the applicable earnings (as shareholder on the last day during the tax line 1); and
defined in section 956(b)) accumulated year in which the foreign corporation was • In determining applicable earnings,
during periods before it became a CFC. a CFC; current earnings and profits will include
only earnings and profits that are
Instructions for Form 5471 -11-
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allocable (on a pro rata basis) to the part more transactions) an additional 10% or
of the year during which the foreign Schedule M more (in value or voting power) of the
corporation was a CFC. Important: In translating the amounts outstanding stock of the foreign
from functional currency to U.S. dollars, corporation.
use the average exchange rate for the
Schedule J foreign corporation’s tax year. See
Part II
section 989(b). Report the exchange rate
Use Schedule J to report accumulated
in the entry space provided at the top of Section A —General Shareholder
E&P, in functional currency, computed
Schedule M using the “divide-by
under sections 964(a) and 986(b).
convention” specified under Reporting Information
Exchange Rates on Form 5471 on If the shareholder’s latest income tax
Column (a) page 3. return was filed electronically, enter
Use column (a) to report the opening “e-filed” in column (b)(3) instead of a
balance, current year additions and Every U.S. person described in service center.
subtractions, and the closing balance in Category 4 must file Schedule M to report
the foreign corporation’s post-1986 the transactions that occurred during the Section C —Acquisition of Stock
undistributed earnings pool. foreign corporation’s annual accounting Section C is completed by shareholders
period ending with or within the U.S. who are completing Schedule O because
Note. Line 3 (E&P as of the close of the person’s tax year. they have acquired sufficient stock in a
tax year, before actual or deemed foreign corporation. If the shareholder
distributions during the year) is the If a U.S. corporation that owns stock in acquired the stock in more than one
denominator of the deemed-paid credit a foreign corporation is a member of a transaction, use a separate line to report
fraction under section 902(c)(1) used for consolidated group, list the common each transaction.
foreign tax credit purposes. parent as the U.S. person filing
Schedule M. Column (d). Enter the method of
Column (b) acquisition (e.g., purchase, gift, bequest,
Lines 6 and 16. Report on these lines trade).
Use column (b) to report the aggregate dividends received and paid by the
amount of the foreign corporation’s foreign corporation not previously taxed Column (e)(2). Enter the number of
pre-1987 section 964(a) E&P under subpart F in the current year or in shares acquired indirectly (within the
accumulated since 1962 and not any prior year. meaning of section 958(a)(2)) by the
previously distributed or deemed
shareholder listed in column (a).
distributed. These amounts are figured in Lines 19 and 20. Report on lines 19 and
U.S. dollars using the rules of Regulations 20 the largest outstanding balances Column (e)(3). Enter the number of
sections 1.964-1(a) through (e), during the year of gross amounts shares constructively owned (within the
translated into the foreign corporation’s borrowed from, and gross amounts meaning of section 958(b)) by the
functional currency according to loaned to, the related parties described in shareholder listed in column (a).
Notice 88-70, 1988-2 C.B. 369. columns (b) through (f). Do not enter
aggregate cash flows, year-end loan Section D —Disposition of Stock
Column (c) balances, average balances, or net
balances. Do not include open account Section D must be completed by
Use column (c) to report the running shareholders who dispose of their interest
balance of the foreign corporation’s balances resulting from sales and
purchases reported under other items (in whole or in part) in a foreign
previously taxed earnings and profits corporation.
(PTI), or section 964(a) E&P accumulated listed on Schedule M that arise and are
since 1962 that have resulted in deemed collected in full in the ordinary course of
business. Column (d). Enter the method of
inclusions under subpart F. Pre-1987 U.S. disposition (e.g., sale, bequest, gift,
dollar PTI should be translated into the trade).
foreign corporation’s functional currency
using the rules of Notice 88-70 and added
Schedule O
Schedule O is used to report the Example. In 1993, Mr. Jackson, a U.S.
to post-1986 amounts in the appropriate citizen, purchased 10,000 shares of
PTI category. organization or reorganization of a foreign
corporation and the acquisition or common stock of foreign corporation X.
• Include in column (c)(i) PTI attributable disposition of its stock. The purchase represented 10%
to, or reclassified as, investments in U.S. ownership of the foreign corporation.
property (section 959(c)(1)(A) amounts). Every U.S. citizen or resident
• Include in column (c)(ii) PTI attributable described in Category 2 must complete On July 1, 2004, Mr. Jackson made a
to, or reclassified as, earnings invested in Part I. Every U.S. person described in gift of 5,000 shares of foreign corporation
excess passive assets (section Category 3 must complete Part II. X to his son, John. Because Mr. Jackson
959(c)(1)(B) amounts) accumulated in tax has reduced his holding in the foreign
years of foreign corporations beginning See Regulations section 1.6046-1(i) corporation, he is required to complete
after September 30, 1993, and before for rules on determining when U.S. Form 5471 and Schedule O. To show the
January 1, 1997. persons constructively own stock of a required information about the disposition,
Mr. Jackson completes Section D as
• Include in column (c)(iii) PTI foreign corporation and therefore are
follows:
attributable to subpart F income net of subject to the section 6046 filing
any reclassifications (section 959(c)(2) requirements. • Enters his name in column (a).
amounts). • Enters “common” in column (b).
Part I • Enters “July 1, 2004” in column (c).
Column (d) Column (d). Enter the date the • Enters “gift” in column (d).
Use column (d) to report the opening and shareholder first acquired 10% or more • Enters “5,000” in column (e)(1).
closing balance of the foreign (in value or voting power) of the
corporation’s accumulated E&P. This
• Enters “-0-” in column (f) because the
outstanding stock of the foreign disposition was by gift.
amount is the sum of post-1986 corporation.
undistributed earnings, pre-1987 section • Enters the name and address of his
964(a) E&P not previously taxed, and Column (e). Enter the date the son, John, in column (g).
PTI. shareholder acquired (whether in one or
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Section F —Additional Information foreign corporation F. F is the 100% Mr. Lyons would prepare a list showing
owner of two foreign corporations, FI and the corporations as follows:
Item (b). List the date of any FJ. F is also a 50% owner of foreign • Corporation W
reorganization of the foreign corporation corporation FK. In addition, F is 90% • Corporation F
that occurred during the last 4 years while owned by foreign corporation W. Mr. • Corporation FI
any U.S. person held 10% or more in Lyons does not own any of the stock of • Corporation FJ
value or vote (directly or indirectly) of the corporation W. • Corporation FK
corporation’s stock. If there is more than
one such date, use the most recent date. Mr. Lyons completes and files Form
However, do not enter a date for which 5471 and Schedule O for the corporations Then Mr. Lyons is required to indicate
information was reported in Schedule E. in which he is a 10% or more that he is a 10% or more shareholder in
Instead, enter the date (if any) of any shareholder. Mr. Lyons is also required to corporations F, FI, and FJ.
reorganization prior to that date (if it is submit a chart if the foreign corporation is
within the last 4 years). a member of a chain of corporations, and
to indicate if he is a 10% or more
Example for Item (c). Mr. Lyons, a U.S.
shareholder in any of those corporations.
person, acquires a 10% ownership in
Paperwork Reduction Act Notice. We ask for the information on this form to carry out the Internal Revenue laws of the United
States. You are required to give us the information. We need it to ensure that you are complying with these laws and to allow us to
figure and collect the right amount of tax.
You are not required to provide the information requested on a form that is subject to the Paperwork Reduction Act unless the
form displays a valid OMB control number. Books or records relating to a form or its instructions must be retained as long as their
contents may become material in the administration of any Internal Revenue law. Generally, tax returns and return information are
confidential, as required by section 6103.
The time needed to complete and file this form and related schedules will vary depending on individual circumstances. The
estimated burden for individual taxpayers filing this form is approved under OMB control number 1545-0074 and is included in the
estimates shown in the instructions for their individual income tax return. The estimated burden for all other taxpayers who file this
form is shown below.

Learning about the Preparing and sending


Form Recordkeeping law or the form the form to the IRS
5471 82 hr., 45 min. 16 hr., 14 min. 24 hr., 17 min.
Sch. J (5471) 3 hr., 49 min. 1 hr., 29 min. 1 hr., 37 min.
Sch. M (5471) 26 hr., 33 min. 6 min. 32 min.
Sch. O (5471) 10 hr., 45 min. 24 min. 35 min.

If you have comments concerning the accuracy of these time estimates or suggestions for making this form and related
schedules simpler, we would be happy to hear from you. See the instructions for the tax return with which this form is filed.

Instructions for Form 5471 -13-


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Codes for Principal Business Activity Code Code


Beverage and Tobacco Product Primary Metal Manufacturing
This list of principal business activities and their associated Manufacturing 331110 Iron & Steel Mills & Ferroalloy
codes is designed to classify an enterprise by the type of 312110 Soft Drink & Ice Mfg Mfg
312120 Breweries 331200 Steel Product Mfg from
activity in which it is engaged to facilitate the administration of 312130 Wineries Purchased Steel
the Internal Revenue Code. These principal business activity 312140 Distilleries 331310 Alumina & Aluminum
codes are based on the North American Industry Classification 312200 Tobacco Manufacturing Production & Processing
331400 Nonferrous Metal (except
System. Textile Mills and Textile Product Aluminum) Production &
Mills Processing
Using the list of activities and codes below, determine from 313000 Textile Mills 331500 Foundries
which activity the company derives the largest percentage of 314000 Textile Product Mills
its “total receipts.” If the company purchases raw materials Fabricated Metal Product
Apparel Manufacturing Manufacturing
and supplies them to a subcontractor to produce the finished 315100 Apparel Knitting Mills 332110 Forging & Stamping
product, but retains title to the product, the company is 315210 Cut & Sew Apparel 332210 Cutlery & Handtool Mfg
considered a manufacturer and must use one of the Contractors 332300 Architectural & Structural
315220 Men’s & Boys’ Cut & Sew Metals Mfg
manufacturing codes (311110-339900). Apparel Mfg 332400 Boiler, Tank, & Shipping
Enter on page 1, item 1f, the six digit code selected from the 315230 Women’s & Girls’ Cut & Sew Container Mfg
Apparel Mfg 332510 Hardware Mfg
list below. In item 1g, enter a brief description of the 315290 Other Cut & Sew Apparel Mfg 332610 Spring & Wire Product Mfg
company’s business activity. 315990 Apparel Accessories & Other 332700 Machine Shops; Turned
Apparel Mfg Product; & Screw, Nut, & Bolt
Mfg
Leather and Allied Product
Manufacturing 332810 Coating, Engraving, Heat
Agriculture, Forestry, Fishing Utilities Treating, & Allied Activities
316110 Leather & Hide Tanning &
and Hunting Code Finishing 332900 Other Fabricated Metal
Product Mfg
Code 221100 Electric Power Generation, 316210 Footwear Mfg (including
Transmission & Distribution rubber & plastics) Machinery Manufacturing
Crop Production 316990 Other Leather & Allied
221210 Natural Gas Distribution 333100 Agriculture, Construction, &
111100 Oilseed & Grain Farming Product Mfg Mining Machinery Mfg
221300 Water, Sewage & Other
111210 Vegetable & Melon Farming Systems 333200 Industrial Machinery Mfg
(including potatoes & yams) Wood Product Manufacturing
321110 Sawmills & Wood 333310 Commercial & Service
111300 Fruit & Tree Nut Farming Industry Machinery Mfg
111400 Greenhouse, Nursery, & Construction Preservation
321210 Veneer, Plywood, & 333410 Ventilation, Heating,
Floriculture Production Construction of Buildings Air-Conditioning, &
111900 Other Crop Farming (including 236110 Residential Building Engineered Wood Product
Mfg Commercial Refrigeration
tobacco, cotton, sugarcane, Construction Equipment Mfg
hay, peanut, sugar beet & all 236200 Nonresidential Building 321900 Other Wood Product Mfg
333510 Metalworking Machinery Mfg
other crop farming) Construction Paper Manufacturing 333610 Engine, Turbine & Power
Animal Production Heavy and Civil Engineering 322100 Pulp, Paper, & Paperboard Transmission Equipment Mfg
112111 Beef Cattle Ranching & Construction Mills 333900 Other General Purpose
Farming 237100 Utility System Construction 322200 Converted Paper Product Mfg Machinery Mfg
112112 Cattle Feedlots 237210 Land Subdivision Computer and Electronic Product
Printing and Related Support
112120 Dairy Cattle & Milk Production 237310 Highway, Street, & Bridge Activities Manufacturing
112210 Hog & Pig Farming Construction 323100 Printing & Related Support 334110 Computer & Peripheral
112300 Poultry & Egg Production 237990 Other Heavy & Civil Activities Equipment Mfg
112400 Sheep & Goat Farming Engineering Construction 334200 Communications Equipment
112510 Animal Aquaculture (including Petroleum and Coal Products Mfg
shellfish & finfish farms & Specialty Trade Contractors Manufacturing 334310 Audio & Video Equipment Mfg
hatcheries) 238100 Foundation, Structure, & 324110 Petroleum Refineries
Building Exterior Contractors 334410 Semiconductor & Other
112900 Other Animal Production (including integrated) Electronic Component Mfg
(including framing carpentry, 324120 Asphalt Paving, Roofing, &
Forestry and Logging masonry, glass, roofing, & 334500 Navigational, Measuring,
Saturated Materials Mfg Electromedical, & Control
113110 Timber Tract Operations siding) 324190 Other Petroleum & Coal
238210 Electrical Contractors Instruments Mfg
113210 Forest Nurseries & Gathering Products Mfg 334610 Manufacturing & Reproducing
of Forest Products 238220 Plumbing, Heating, &
Air-Conditioning Contractors Chemical Manufacturing Magnetic & Optical Media
113310 Logging
238290 Other Building Equipment 325100 Basic Chemical Mfg Electrical Equipment, Appliance, and
Fishing, Hunting and Trapping Contractors 325200 Resin, Synthetic Rubber, & Component Manufacturing
114110 Fishing 238300 Building Finishing Contractors Artificial & Synthetic Fibers & 335100 Electric Lighting Equipment
114210 Hunting & Trapping (including drywall, insulation, Filaments Mfg Mfg
painting, wallcovering, 325300 Pesticide, Fertilizer, & Other 335200 Household Appliance Mfg
Support Activities for Agriculture and flooring, tile, & finish Agricultural Chemical Mfg
Forestry 335310 Electrical Equipment Mfg
carpentry) 325410 Pharmaceutical & Medicine
115110 Support Activities for Crop 335900 Other Electrical Equipment &
238900 Other Specialty Trade Mfg Component Mfg
Production (including cotton Contractors (including site 325500 Paint, Coating, & Adhesive
ginning, soil preparation, preparation) Mfg Transportation Equipment
planting, & cultivating) Manufacturing
325600 Soap, Cleaning Compound, &
115210 Support Activities for Animal Toilet Preparation Mfg 336100 Motor Vehicle Mfg
Production Manufacturing
325900 Other Chemical Product & 336210 Motor Vehicle Body & Trailer
115310 Support Activities For Food Manufacturing Preparation Mfg Mfg
Forestry 311110 Animal Food Mfg 336300 Motor Vehicle Parts Mfg
311200 Grain & Oilseed Milling Plastics and Rubber Products
Manufacturing 336410 Aerospace Product & Parts
Mining 311300 Sugar & Confectionery Mfg
Product Mfg 326100 Plastics Product Mfg
211110 Oil & Gas Extraction 336510 Railroad Rolling Stock Mfg
311400 Fruit & Vegetable Preserving 326200 Rubber Product Mfg
212110 Coal Mining 336610 Ship & Boat Building
& Specialty Food Mfg Nonmetallic Mineral Product 336990 Other Transportation
212200 Metal Ore Mining 311500 Dairy Product Mfg
212310 Stone Mining & Quarrying Manufacturing Equipment Mfg
311610 Animal Slaughtering and 327100 Clay Product & Refractory
212320 Sand, Gravel, Clay, & Ceramic Processing Furniture and Related Product
& Refractory Minerals Mining Mfg
311710 Seafood Product Preparation Manufacturing
& Quarrying 327210 Glass & Glass Product Mfg
& Packaging 337000 Furniture & Related Product
212390 Other Nonmetallic Mineral 327300 Cement & Concrete Product Manufacturing
311800 Bakeries & Tortilla Mfg Mfg
Mining & Quarrying
311900 Other Food Mfg (including 327400 Lime & Gypsum Product Mfg
213110 Support Activities for Mining coffee, tea, flavorings & 327900 Other Nonmetallic Mineral
seasonings) Product Mfg

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Code Code Code Code


Miscellaneous Manufacturing Electronics and Appliance Stores Nonstore Retailers Broadcasting (except Internet)
339110 Medical Equipment & 443111 Household Appliance Stores 454110 Electronic Shopping & 515100 Radio & Television
Supplies Mfg 443112 Radio, Television, & Other Mail-Order Houses Broadcasting
339900 Other Miscellaneous Electronics Stores 454210 Vending Machine Operators 515210 Cable & Other Subscription
Manufacturing 443120 Computer & Software Stores 454311 Heating Oil Dealers Programming
443130 Camera & Photographic 454312 Liquefied Petroleum Gas Internet Publishing and Broadcasting
Wholesale Trade Supplies Stores (Bottled Gas) Dealers
516110 Internet Publishing &
454319 Other Fuel Dealers Broadcasting
Merchant Wholesalers, Durable Goods Building Material and Garden
Equipment and Supplies Dealers 454390 Other Direct Selling
Establishments (including Telecommunications
423100 Motor Vehicle & Motor Vehicle 444110 Home Centers door-to-door retailing, frozen
Parts & Supplies 517000 Telecommunications
444120 Paint & Wallpaper Stores food plan providers, party (including paging, cellular,
423200 Furniture & Home Furnishings 444130 Hardware Stores plan merchandisers, & satellite, cable & other
423300 Lumber & Other Construction 444190 Other Building Material coffee-break service program distribution,
Materials Dealers providers) resellers, & other
423400 Professional & Commercial 444200 Lawn & Garden Equipment & telecommunications)
Equipment & Supplies Supplies Stores
423500 Metal & Mineral (except
Transportation and Internet Service Providers, Web
Petroleum) Food and Beverage Stores Warehousing Search Portals, and Data Processing
445110 Supermarkets and Other Air, Rail, and Water Transportation Services
423600 Electrical & Electronic Goods
Grocery (except Convenience) 481000 Air Transportation 518111 Internet Service Providers
423700 Hardware, & Plumbing &
Heating Equipment & Stores 518112 Web Search Portals
482110 Rail Transportation
Supplies 445120 Convenience Stores 518210 Data Processing, Hosting, &
483000 Water Transportation
423800 Machinery, Equipment, & 445210 Meat Markets Related Services
Supplies 445220 Fish & Seafood Markets Truck Transportation
Other Information Services
423910 Sporting & Recreational 445230 Fruit & Vegetable Markets 484110 General Freight Trucking,
Local 519100 Other Information Services
Goods & Supplies 445291 Baked Goods Stores (including news syndicates &
423920 Toy & Hobby Goods & 445292 Confectionery & Nut Stores 484120 General Freight Trucking, libraries)
Supplies 445299 All Other Specialty Food Long-distance
423930 Recyclable Materials Stores 484200 Specialized Freight Trucking
423940 Jewelry, Watch, Precious 445310 Beer, Wine, & Liquor Stores Finance and Insurance
Transit and Ground Passenger
Stone, & Precious Metals Transportation Depository Credit Intermediation
423990 Other Miscellaneous Durable Health and Personal Care Stores 522110 Commercial Banking
446110 Pharmacies & Drug Stores 485110 Urban Transit Systems
Goods 522120 Savings Institutions
446120 Cosmetics, Beauty Supplies, 485210 Interurban & Rural Bus
Merchant Wholesalers, Nondurable Goods Transportation 522130 Credit Unions
& Perfume Stores
485310 Taxi Service 522190 Other Depository Credit
446130 Optical Goods Stores Intermediation
424100 Paper & Paper Products 446190 Other Health & Personal Care 485320 Limousine Service
424210 Drugs & Druggists’ Sundries Stores 485410 School & Employee Bus Nondepository Credit Intermediation
424300 Apparel, Piece Goods, & Transportation 522210 Credit Card Issuing
Notions Gasoline Stations 485510 Charter Bus Industry 522220 Sales Financing
424400 Grocery & Related Products 447100 Gasoline Stations (including 485990 Other Transit & Ground
convenience stores with gas) 522291 Consumer Lending
424500 Farm Product Raw Materials Passenger Transportation 522292 Real Estate Credit (including
424600 Chemical & Allied Products Clothing and Clothing Accessories Pipeline Transportation mortgage bankers &
424700 Petroleum & Petroleum Stores 486000 Pipeline Transportation originators)
Products 448110 Men’s Clothing Stores 522293 International Trade Financing
424800 Beer, Wine, & Distilled 448120 Women’s Clothing Stores Scenic & Sightseeing Transportation 522294 Secondary Market Financing
Alcoholic Beverages 448130 Children’s & Infants’ Clothing 487000 Scenic & Sightseeing 522298 All Other Nondepository
424910 Farm Supplies Stores Transportation Credit Intermediation
424920 Book, Periodical, & 448140 Family Clothing Stores
Newspapers Support Activities for Transportation Activities Related to Credit
448150 Clothing Accessories Stores 488100 Support Activities for Air Intermediation
424930 Flower, Nursery Stock, & 448190 Other Clothing Stores
Florists’ Supplies Transportation 522300 Activities Related to Credit
448210 Shoe Stores 488210 Support Activities for Rail Intermediation (including loan
424940 Tobacco & Tobacco Products 448310 Jewelry Stores Transportation brokers, check clearing, &
424950 Paint, Varnish, & Supplies 448320 Luggage & Leather Goods money transmitting)
488300 Support Activities for Water
424990 Other Miscellaneous Stores Transportation
Nondurable Goods Securities, Commodity Contracts,
Sporting Goods, Hobby, Book, and 488410 Motor Vehicle Towing and Other Financial Investments and
Wholesale Electronic Markets and Music Stores 488490 Other Support Activities for Related Activities
Agents and Brokers 451110 Sporting Goods Stores Road Transportation 523110 Investment Banking &
425110 Business to Business 451120 Hobby, Toy, & Game Stores 488510 Freight Transportation Securities Dealing
Electronic Markets Arrangement 523120 Securities Brokerage
451130 Sewing, Needlework, & Piece
425120 Wholesale Trade Agents & Goods Stores 488990 Other Support Activities for 523130 Commodity Contracts Dealing
Brokers Transportation
451140 Musical Instrument & Supplies 523140 Commodity Contracts
Stores Couriers and Messengers Brokerage
Retail Trade 451211 Book Stores 492110 Couriers 523210 Securities & Commodity
Motor Vehicle and Parts Dealers 451212 News Dealers & Newsstands 492210 Local Messengers & Local Exchanges
441110 New Car Dealers 451220 Prerecorded Tape, Compact Delivery 523900 Other Financial Investment
Disc, & Record Stores Warehousing and Storage Activities (including portfolio
441120 Used Car Dealers management & investment
441210 Recreational Vehicle Dealers General Merchandise Stores 493100 Warehousing & Storage
(except lessors of advice)
441221 Motorcycle Dealers 452110 Department Stores miniwarehouses & self- Insurance Carriers and Related
441222 Boat Dealers 452900 Other General Merchandise storage units)
441229 All Other Motor Vehicle Stores Activities
Dealers 524140 Direct Life, Health, & Medical
441300 Automotive Parts, Miscellaneous Store Retailers Information Insurance & Reinsurance
Accessories, & Tire Stores 453110 Florists Publishing Industries (except Internet) Carriers
453210 Office Supplies & Stationery 511110 Newspaper Publishers 524150 Direct Insurance &
Furniture and Home Furnishings Stores Reinsurance (except Life,
Stores 511120 Periodical Publishers Health & Medical) Carriers
453220 Gift, Novelty, & Souvenir 511130 Book Publishers
442110 Furniture Stores Stores 524210 Insurance Agencies &
442210 Floor Covering Stores 511140 Directory & Mailing List Brokerages
453310 Used Merchandise Stores Publishers
442291 Window Treatment Stores 453910 Pet & Pet Supplies Stores 524290 Other Insurance Related
511190 Other Publishers Activities (including
442299 All Other Home Furnishings 453920 Art Dealers
Stores 511210 Software Publishers third-party administration of
453930 Manufactured (Mobile) Home insurance and pension funds)
Dealers Motion Picture and Sound Recording
453990 All Other Miscellaneous Store Industries
Retailers (including tobacco, 512100 Motion Picture & Video
candle, & trophy shops) Industries (except video
rental)
512200 Sound Recording Industries

Instructions for Form 5471 -15-


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Code Code Code Code


Funds, Trusts, and Other Financial Specialized Design Services Health Care and Social 713900 Other Amusement &
Vehicles 541400 Specialized Design Services Assistance Recreation Industries
525100 Insurance & Employee Benefit (including interior, industrial, (including golf courses, skiing
Offices of Physicians and Dentists facilities, marinas, fitness
Funds graphic, & fashion design)
621111 Offices of Physicians (except centers, & bowling centers)
525910 Open-End Investment Funds Computer Systems Design and mental health specialists)
(Form 1120-RIC) Related Services 621112 Offices of Physicians, Mental
525920 Trusts, Estates, & Agency 541511 Custom Computer Health Specialists Accommodation and Food
Accounts Programming Services 621210 Offices of Dentists Services
525930 Real Estate Investment Trusts 541512 Computer Systems Design Accommodation
(Form 1120-REIT) Services Offices
of Other Health Practitioners
721110 Hotels (except Casino Hotels)
525990 Other Financial Vehicles 541513 Computer Facilities 621310
Offices of Chiropractors & Motels
(including closed-end Management Services 621320
Offices of Optometrists
investment funds) 721120 Casino Hotels
541519 Other Computer Related 621330
Offices of Mental Health 721191 Bed & Breakfast Inns
“Offices of Bank Holding Companies” Services Practitioners (except
and “Offices of Other Holding Physicians) 721199 All Other Traveler
Companies” are located under Other Professional, Scientific, and Accommodation
621340 Offices of Physical,
Management of Companies (Holding Technical Services Occupational & Speech 721210 RV (Recreational Vehicle)
Companies) below. 541600 Management, Scientific, & Therapists, & Audiologists Parks & Recreational Camps
Technical Consulting Services 621391 Offices of Podiatrists 721310 Rooming & Boarding Houses
Real Estate and Rental and 541700 Scientific Research & 621399 Offices of All Other Food Services and Drinking Places
Leasing Development Services Miscellaneous Health 722110 Full-Service Restaurants
541800 Advertising & Related Practitioners
Real Estate 722210 Limited-Service Eating Places
Services
531110 Lessors of Residential Outpatient Care Centers 722300 Special Food Services
541910 Marketing Research & Public (including food service
Buildings & Dwellings Opinion Polling 621410 Family Planning Centers
531114 Cooperative Housing 621420 Outpatient Mental Health & contractors & caterers)
541920 Photographic Services 722410 Drinking Places (Alcoholic
531120 Lessors of Nonresidential 541930 Translation & Interpretation Substance Abuse Centers
Buildings (except 621491 HMO Medical Centers Beverages)
Services
Miniwarehouses) 541940 Veterinary Services 621492 Kidney Dialysis Centers
531130 Lessors of Miniwarehouses & 541990 All Other Professional, 621493 Freestanding Ambulatory Other Services
Self-Storage Units Scientific, & Technical Surgical & Emergency Repair and Maintenance
531190 Lessors of Other Real Estate Services Centers
Property 811110 Automotive Mechanical &
621498 All Other Outpatient Care Electrical Repair &
531210 Offices of Real Estate Agents Centers Maintenance
& Brokers Management of Companies
Medical and Diagnostic Laboratories 811120 Automotive Body, Paint,
531310 Real Estate Property (Holding Companies) Interior, & Glass Repair
Managers 621510 Medical & Diagnostic
551111 Offices of Bank Holding Laboratories 811190 Other Automotive Repair &
531320 Offices of Real Estate Companies Maintenance (including oil
Appraisers Home Health Care Services change & lubrication shops &
551112 Offices of Other Holding
531390 Other Activities Related to Companies 621610 Home Health Care Services car washes)
Real Estate 811210 Electronic & Precision
Other Ambulatory Health Care Equipment Repair &
Rental and Leasing Services Administrative and Support Services
532100 Automotive Equipment Rental Maintenance
and Waste Management and 621900 Other Ambulatory Health Care 811310 Commercial & Industrial
& Leasing Services (including
532210 Consumer Electronics & Remediation Services ambulance services & blood
Machinery & Equipment
Appliances Rental (except Automotive &
Administrative and Support Services & organ banks) Electronic) Repair &
532220 Formal Wear & Costume 561110 Office Administrative Services Maintenance
Rental Hospitals
561210 Facilities Support Services 811410 Home & Garden Equipment &
532230 Video Tape & Disc Rental 622000 Hospitals
561300 Employment Services Appliance Repair &
532290 Other Consumer Goods 561410 Document Preparation Nursing and Residential Care Maintenance
Rental Services Facilities 811420 Reupholstery & Furniture
532310 General Rental Centers 561420 Telephone Call Centers 623000 Nursing & Residential Care Repair
532400 Commercial & Industrial 561430 Business Service Centers Facilities 811430 Footwear & Leather Goods
Machinery & Equipment (including private mail centers Repair
Rental & Leasing & copy shops) Social Assistance
811490 Other Personal & Household
561440 Collection Agencies 624100 Individual & Family Services Goods Repair & Maintenance
Lessors of Nonfinancial Intangible 624200 Community Food & Housing,
Assets (except copyrighted works) 561450 Credit Bureaus
& Emergency & Other Relief Personal and Laundry Services
533110 Lessors of Nonfinancial 561490 Other Business Support Services
Services (including 812111 Barber Shops
Intangible Assets (except 624310 Vocational Rehabilitation
copyrighted works) repossession services, court 812112 Beauty Salons
reporting, & stenotype Services 812113 Nail Salons
services) 624410 Child Day Care Services 812190 Other Personal Care Services
Professional, Scientific, and 561500 Travel Arrangement & (including diet & weight
Technical Services Reservation Services Arts, Entertainment, and reducing centers)
561600 Investigation & Security 812210 Funeral Homes & Funeral
Legal Services Recreation Services
541110 Offices of Lawyers Services
561710 Exterminating & Pest Control Performing Arts, Spectator Sports, 812220 Cemeteries & Crematories
541190 Other Legal Services and Related Industries
Services 812310 Coin-Operated Laundries &
Accounting, Tax Preparation, 561720 Janitorial Services 711100 Performing Arts Companies Drycleaners
Bookkeeping, and Payroll Services 561730 Landscaping Services 711210 Spectator Sports (including 812320 Drycleaning & Laundry
541211 Offices of Certified Public sports clubs & racetracks) Services (except
561740 Carpet & Upholstery Cleaning
Accountants Services 711300 Promoters of Performing Arts, Coin-Operated)
541213 Tax Preparation Services Sports, & Similar Events 812330 Linen & Uniform Supply
561790 Other Services to Buildings &
541214 Payroll Services Dwellings 711410 Agents & Managers for 812910 Pet Care (except Veterinary)
541219 Other Accounting Services Artists, Athletes, Entertainers, Services
561900 Other Support Services & Other Public Figures
(including packaging & 812920 Photofinishing
Architectural, Engineering, and labeling services, & 711510 Independent Artists, Writers, 812930 Parking Lots & Garages
Related Services convention & trade show & Performers 812990 All Other Personal Services
541310 Architectural Services organizers) Museums, Historical Sites, and Religious, Grantmaking, Civic,
541320 Landscape Architecture Similar Institutions
Services Waste Management and Professional, and Similar
Remediation Services 712100 Museums, Historical Sites, & Organizations
541330 Engineering Services Similar Institutions
541340 Drafting Services 562000 Waste Management & 813000 Religious, Grantmaking, Civic,
Remediation Services Amusement, Gambling, and Professional, & Similiar
541350 Building Inspection Services
Recreation Industries Organizations (including
541360 Geophysical Surveying & condominium and
Mapping Services Educational Services 713100 Amusement Parks & Arcades
homeowners associations)
541370 Surveying & Mapping (except 611000 Educational Services 713200 Gambling Industries
Geophysical) Services (including schools, colleges, &
541380 Testing Laboratories universities)

-16- Instructions for Form 5471

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