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Client has decided he wants to dissolve his S-Corporation at the end of May, 2020 and retire since he is in a chiropractic service field and his business has been closed due to the Coronavirius. My understanding is that if a Form 966 is filed to dissolve the Corporation that a tax return must be filed by the 15th day of the fourth month following the dissolution. If there is no 2020 tax return available until the end of the year how do we meet this deadline if we file Form 966 by the end of May? On the Form 966, we have put the last month, day and year of his final tax year as December 31, 2020. Since he will not be providing chiropractic services but merely selling off his equipment and wrapping up loose ends for the business will this work where we can file his final return by March 15, 2021?
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You would use the 2019 forms and cross off the 19 and write 20 on the forms.
Slava Ukraini!
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I believe you are misunderstanding the intent of the form 966. This form just tells the IRS that you have adopted a plan of liquidation. It doesn't mean that it starts the timing of the final return.
Liquidations are generally governed by Section 331 and 336. Liquidations can take several years in some complicated situations. Your time frame for the timing of your final tax return will be governed by the final liquidating distribution. Keep in mind, that liquidating distributions are not reported on the K-1 as normal distributions. They are reported on form 1099-DIV.
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And don't let client forget the state dissolution paperwork and fees.
The more I know the more I don’t know.