U.S. Persons Holding Controlling Interests in Foreign Businesses – The Long Arm of the U.S. Internal Revenue Service
By: Coleman Jackson, Attorney, CPA December 05, 2017 Pursuant to Internal Revenue Code Section 6038, U.S. persons (this term includes citizens and green card holders of the United States under U.S. Tax Law) holding controlling interest in foreign corporations must annually disclose certain ownership and financial information about the business and the U.S. taxpayer’s interest…