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Form 3520-A for Georgia: What You Should Know
Form 5471 — Taxable Capital Gains of the United States, and Form 5472 — Taxable Gains and Losses of U.S. Persons, Aug 24, 2025 — These two forms each carry a penalty maximum of 40,000 and a maximum tax on the gain or loss, respectively, of 100,000. These penalties were designed to make the late filing penalties meaningful. Form 3520 — Annual Information Return of a Foreign Trust — IRS As of August 30, 2020, this form is only required for tax years beginning after February 29, 2019. IRS Form 3520 is filed annually by a nonresident foreign trust (generally a foreign nonbranch corporation incorporated in the United States) to provide all information necessary to determine if the trust is taxable in the United States. Form 3520A—Tax Information Return of U.S. Persons Receiving a Foreign Gifts — IRS As of August 30, 2020, this form is only required for tax years beginning after February 29, 2019. The form must be filed during the annual reporting period by a U.S. person who receives a foreign gift of more than 20,000 in any calendar year. Form 3520—Annual Return of Foreign Trusts With U.S. Beneficiaries — IRS As of August 30, 2020, this form must be filed annually by a foreign trust that has at least one U.S. beneficiary. The tax return is generally required if the trust has at least one U.S. beneficiary or if a U.S. person is the beneficial owner for more than 25% of the outstanding voting shares or 50% of the liquid capital interests. Form 3520—Tax Information Return of a Foreign Trust with U.S. Beneficiaries—Safeguarded Against Fraud — IRS As of August 30, 2020, this form may only be filed by an institution that has a valid, independent tax treaty with the United States. Form 3520-A must be filed by any trust or partnership that has at least one U.S. beneficiary and that has been the beneficiary of an income tax return filed by the beneficiary. The return must be filed within two years of its expiration date, or in the case of a trust or partnership, one year after it ceases to be the beneficiary's taxable U.S.
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