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Form 2555 online Baton Rouge Louisiana: What You Should Know

Income Exclusion, showing that he had not fully taxed foreign income on the basis of the foreign base company minimum tax. Petitioner submitted to the Tax Division a letter dated March 1, 1990, by which he claimed the foreign earned income exclusion for these years. On August 13, 1991, Petitioner sent a letter to the Tax Division requesting that the Foreign Earned Income Exclusion for these years be added back to his gross income for these years. On November 12, 1991, Petitioner sent a Form 2555, foreign earned income exclusion, claiming the foreign base company minimum tax as a basis for excluding foreign income on the foreign earned income exclusion. On February 1, 1992, Petitioner appealed the Commissioner's denial of his foreign earned income exclusion for 1983 and 1984, the years before he filed return for 1990. On May 15, 1992, Petitioner filed his appeal of the Commissioner's denial of the income tax exclusion for 1983 from income subject to foreign tax. The appeal of the income tax exclusion of 1984 was filed on May 20, 1992. On October 7, 1992, the Tax Division informed Petitioner that he did not have to file an appeal of the income tax exclusion for 1983. On the advice of counsel, Petitioner appealed the Commissioner's denial of the income tax exclusion for 1983 from income subject to foreign tax. On the advice of counsel, Petitioner appealed the Commissioner's denial of the income tax exclusion for 1984. On October 22, 1992, the Tax Division filed Petitioner's tax returns for 1990 (the dates the appeal was filed) and 1991. On April 16, 1993, the Tax Division sent a letter requesting additional information to be added to Petitioner's previous appeal of the Commissioner's denial of the income tax exclusion for 1983. Petitioner filed his tax return for 1993 in November 1993.  The Tax Commissioner sent him a letter requesting additional information to be added to Petitioner's previous appeal of the Commissioner's denial of the income tax exclusion for 1983. This information included Petitioner's annual statement from the IRS. Petitioner added to his appeal of the Commissioner's denial of the income tax exclusion for 1983 the information requested in the letter from the Tax Division. By January 1, 1994, the Tax Division and counsel agreed to the Tax Commissioner's revocation of Petitioner's appeal of the income tax exclusion for 1983 from income subject to foreign tax.

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