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Printable Form 966 New Orleans Louisiana: What You Should Know

This form, known as “SOUTHPORT,” must be filed within 60 days of the corporation's receipt of a petition to dissolve, liquidate, or retire the corporation. (The filing also serves as the deadline for the corporation to file a petition to terminate a predecessor.) However, the filing is voluntary, not mandatory.   If the decision is made to take the action after the 60-day deadline, then it is known as “SOLICITOR” or “Form 966P” or “SOLD. . . . . PORT.” (For details, see Solo's article on the different versions of Form 963.) Form 966: (New) Corporate Dissolution & (New) Liquidation IRS This page provides useful information on Forms 963 (which became required by Revenue Procedure 2014-58) and Forms 966: Corporate Dissolution & (New) Liquidation. Both forms are used as an alternative to filing your original forms and can be filed online. Once the forms are filed, you will receive a “Final Notice for Correction and Filing of the Forms,” which will notify you whether the documents you filed with the agency are correct or missing, and also what happens to the assets that you reported on your original forms. Forms for Corporate Dissolution — IRS As in previous years, the IRS maintains a database of forms that are used to file corporate petitions to dissolve. This year, the database contains 13 forms. Here are these forms, grouped alphabetically by the filing date: Form 2-7-1, Declaration and Report of Dissolution of a Foreign Corporation.  Form 2-7-13, Declaration and Report of Dissolution of a Foreign Partnership.  Form 2-7-14, Declaration and Report of Dissolution of a Foreign S Corporation and a Foreign L Corporation.  Form 3-3-1A, Dissolution of a Qualified Partnership.  Form 3-3-3, Dissolution of a Foreign Partnership.  Form 3-4-1, Dissolution of a Foreign LLP, LLP-Corporation or FCC.  Form 3-4-4, Dissolution of a Foreign Limited Liability Company or LLC.  Form 3-4-5, Dissolution of an LLC with a Foreign Limited Liability Partnership.  Form 4-12-4, Dissolution of an LLP with a Foreign Limited Liability Partnership.

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