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21 Internal Revenue Service Department of the Treasury

2017 Department of the Treasury Internal Revenue Service Instructions for Schedule R. (Form 990). Related Organizations and Unrelated Partnerships Section references are to the Internal Revenue Code unless otherwise noted. Overview Relationships Part I of Schedule R (Form 990) requires An organization, including a nonprofit identifying information on any organization, a stock corporation , a Future developments. For the latest organizations that are treated for federal partnership or limited liability company, a information about developments related to tax purposes as disregarded entities of trust, and a governmental unit or other Form 990 and its instructions, such as the filing organization. Part II requires government entity, is a related legislation enacted after they were identifying information on related organization to the filing organization if it published, go to tax-exempt organizations. Part III requires stands, at any time during the tax year, in identifying information on any related one or more of the following relationships organizations that are treated for federal to the filing organization.

subsidiary's directors or trustees are trustees, directors, officers, employees, or agents of the parent. Control of a stock corporation. One or more persons (whether individuals or organizations) control a stock corporation if they own more than 50% of the stock (by voting power or value) of the corporation. Control of a partnership or LLC.

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