Form 8082
(Rev. December 2018)
Department of the Treasury
Internal Revenue Service
Notice of Inconsistent Treatment or Administrative
Adjustment Request (AAR)
(For use by partners, S corporation shareholders, estate and domestic trust beneficiaries, foreign
trust owners and beneficiaries, REMIC residual interest holders, TMPs, and PRs.)
Go to www.irs.gov/Form8082 for instructions and the latest information.
OMB No. 1545-0074
Attachment
Sequence No. 84
Name(s) shown on return Identifying number
Part I General Information
1 Check boxes that apply.
Notice of inconsistent treatment (go to line 2)
AAR (choose one below—see instructions)
(a)
(b)
Yes No
For partnership tax years beginning before January 1, 2018 (unless electing into BBA)
TEFRA AAR
ELPs/REMICs
For partnership tax years beginning after December 31, 2017 (or that elected into BBA for tax years beginning
after November 2, 2015, and before January 1, 2018)
BBA AAR—go to Question A below
A
Is the partnership revoking the immediately preceding partnership representative (and/or designated
individual, if applicable) and appointing a successor (including the designated individual, if applicable) at
the same time that the AAR is being filed? If “Yes,” attach Form 8979 . . . . . . . . . . . .
B Do the adjustments on the AAR result in an imputed underpayment for the reviewed year? If “Yes,” go to
Question C. If “No,” go to Question D . . . . . . . . . . . . . . . . . . . . . . .
C
Is the partnership making an election under section 6227(b)(2) to have the adjustments taken into account
by the reviewed year partners? If “Yes,” go to Question D. If “No,” go to Question E . . . . . . . .
D
The partnership is required to provide statements to the reviewed year partners containing their share of
the adjustments. By signing below, the partnership representative declares, under penalties of perjury, that
all statements have been provided to the reviewed year partners as required by the instructions.
Partnership Representative Name (or designated individual, if appropriate)
Date
E Is the partnership applying modifications to the imputed underpayment? If “Yes,” attach Form 8980 . .
2
Identify type of pass-through entity in which you are a partner, shareholder, or member.
(a)
TEFRA Partnership
(b)
S Corporation
(c)
Estate
(d)
Trust
(e)
REMIC
(f)
BBA Partnership
3
Employer identification number of pass-through entity
4
Name, address, and ZIP code of pass-through entity
5
Internal Revenue Service Center where pass-through entity filed its return
6 Tax year of pass-through entity
/ / to / /
7 Your tax year
/ / to / /
Part II Inconsistent or Administrative Adjustment Request (AAR) Items
(a) Description of inconsistent or
administrative adjustment request (AAR) items
(see instructions)
(b) Inconsistency is in,
or AAR is to correct
(check boxes that apply)
Amount of
item
Treatment
of item
(c) Amount as shown on
Schedule K-1, Schedule Q, or
similar statement, a foreign
trust statement, or your return,
whichever applies (see
instructions)
(d) Amount you are reporting
(e) Difference between
(c) and (d)
8
9
10
11
For Paperwork Reduction Act Notice, see separate instructions.
Cat. No. 49975G
Form
8082 (Rev. 12-2018)
Form 8082 (Rev. 12-2018)
Page 2
Part III
Explanations—Enter the Part II item number before each explanation. If more space is needed,
continue your explanations on the back. Also, show how the imputed underpayment was calculated
and how modifications were applied.
Form 8082 (Rev. 12-2018)