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Form Instructions 1120-S for Pittsburgh Pennsylvania: What You Should Know

The amount for gross income from activities of the corporation which do not constitute the source of gross income is zero. [The amounts for gross income from activities of the corporation which constitute the source of gross income are: The amount for gross income from the operation of property in the United States (section 871); gross income from the sale, exchange, or other disposition of any depreciable property (section 527); the corporation's gross income from services (section 751); the business income (section 705) the corporation earns by a lease, rental, or similar agreement (section 728); and the gross income from the disposition or other disposition of personal property.] The following table is a summary of the gross income that a non-share corporation must report on its income tax return for an S corporation. The amount for gross income from activities of the corporation which do not constitute the source of gross income is zero. The amount is adjusted each taxable year for each of the following adjustments. Gross income from activities from the operation of property in the United States. A corporation cannot exclude gross income from property described below as gross income under paragraph (g)(2) of this section. To qualify for this exception, a property must meet the following requirements. Gross income from the sale, exchange, or other disposition of any depreciable property. This exception may be applied to assets sold, exchanged, or disposed of in a taxable year before 2018. All property described as described below (within the meaning of section 874) must reduce gross income from the gross income of the corporation and be carried back to a taxable year before the year the property was sold, exchanged, or disposed of.

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