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Form 4876-A for St. Petersburg Florida: What You Should Know
For more information, a copy of this form may be obtained by contacting: CDP-CDP, Family Services, LLC, 1601 North Shore Boulevard, Suite 200, Chicago, IL 60618, Telephone: 972.824.3113, Facsimile: 312.749.2810 or by contacting The Center for Family Counseling and Psychotherapy (FPP). A list of FPP locations is located on our website. Corporations filing Form 4876-A to elect to be treated as an interest charge domestic international sales corporation — Notice 2016-1 — IRS Infant Family Mental Health | Family Study Center | USF St Behavioral consultation; Child-Parent therapy and Family therapy; Parent Groups and More.  Contact Information: Infant-Family Center 26 CFR Part 1 Subpart II — Corporation Classifications, IRM 25.6.1.4, 26 CFR § 1.52 — Qualified Trusts; Domestic International Sales Corporation — A foreign corporation in which the shareholders elect to be treated as domestic foreign income insurance companies (Discs) for income tax purposes. If a foreign corporation which is registered under the laws of a jurisdiction in which it conducts and manages the business of insurance transactions, establishes any subsidiary corporation (including a qualified investment company) or an insurance company or a foreign subsidiary corporation, a foreign qualified investment company, an insurance company, or a foreign subsidiary corporation, the foreign corporation will not be treated as a foreign domestic income insurance company (I-DISC) if it establishes such a subsidiary corporation. 26 CFR § 1.52 — Qualified Trusts; Domestic International Sales Corporation — A foreign corporation in which the shareholders elect to be treated as domestic foreign income insurance companies (Discs) for income tax purposes. A foreign corporation, whether conducted and managed from the United States or a foreign jurisdiction, may be treated as a domestic foreign income insurance company (I-DISC).
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