Federal · Title 26 — Internal Revenue Code

26 U.S.C. § 6046A: Returns as to interests in foreign partnerships

Read the full statutory text
who acquires any interest in a foreign partnership, who disposes of any portion of his interest in a foreign partnership, or whose proportional interest in a foreign partnership changes substantially, Any return required by subsection (a) shall be in such form and set forth such information as the Secretary shall by regulations prescribe. Any return required by subsection (a) shall be filed on or before the 90th day (or on or before such later day as the Secretary may by regulations prescribe) after the day on which the United States person becomes liable to file such return. For purposes of subsection (a), a 10-percent interest in a partnership is an interest described in section 6038(e)(3)(C). For provisions relating to penalties for violations of this section, see sections 6679 and 7203.

Verify at the official source: Federal legislative text

Facing this? Know exactly what happens next.

MOFRD turns this code section into your situation: the deadlines that apply to you, the forms your county uses, and the resolution paths people in your position actually take. Free for 3 days — no card required.

This page is legal information, not legal advice. Code text is sourced from official publications and may lag amendments — always confirm at the official source linked above. Plain-English summaries and relationship data are AI-derived and reviewed on an ongoing basis; verify with a licensed attorney before acting.