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FATCA Basics for Foreign A ccount H olders Allison Christians. FATCA Facts. US law, in force, US Treasury implementing, can choose to delay, restrict, tone down; or forge ahead, expand, ratchet up Aimed at non-US third parties who hold customers’ money and financial assets
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FATCA Basics for Foreign Account Holders Allison Christians
FATCA Facts • US law, in force, US Treasury implementing, can choose to • delay, restrict, tone down; or • forge ahead, expand, ratchet up • Aimed at non-US third parties who hold customers’ money and financial assets • Will punish these third parties with penalties if they do not either • ensure their customers are not ‘US persons’, or • If they are US persons, tell the IRS about their assets and gross income.
So, we want to know: • who are these third parties? • how will they ensure their customers are not US persons?; and • what will they have to do if they think their customers are US persons?; and • what do I have to do as a customer?
1. Who are these third parties? • the main one is FFI: foreign financial institution. • An FFI is any non-US entity that • accepts deposits (e.g. a bank) • holds financial assets for others (e.g. a custodian, some trusts) • invests or trades financial assets as a business (e.g. a mutual fund) • an insurance company • there are other third parties but we will focus on FFIs
2. How will FFIs ensure their customers are not US persons? • Ask new customers to sign documents saying they are not US persons • Search existing accounts for ‘indicia’ of US person status • Only have to do this once account exceeds $50k for individuals, $250k for entities; $250k for life insurance • but can search all accounts • Under IGA, may not have to search certain govt-sponsored accounts (e.g. retirement, education savings plans) • If they find indicia, ask customers to provide documents showing or stating that they are not US persons
What the FFI is looking for • account holder identified as a U.S. citizen or resident • birthplace in the U.S. • a U.S. telephone number • a U.S. residence or mailing address • standing instructions to transfer funds to a U.S. based account • Indications of a power of attorney over the account to a person with a U.S. address • a “care of” or hold mail address as the sole address • For individuals with account 50k to 1m, FFI only has to search electronic records • For individuals with accounts > 1m, FFI must search paper records as well
WHC: withholding certificate PFC: proof of foreign citizenship via govt issued ID CLN: certificate of loss of nationality PCFS: proof of claim of foreign status A: Cert of Residence from tax authority B: Govt-issued ID C: approved similar certificate What the FFI will do if they find these indicia FFI can rely on valid documentation unless actual knowledge or reason to know the info is unreliable or wrong Indicia Document request WHC + PFC PFC + CLNor WHC + PFC + reasonable explanation WHCand PCFS WHCorPCFS WHCand PCFS WHC orPCFS • U.S. citizen or resident • Birthplace in the U.S. • U.S. telephone number alone • U.S. telephone # + non-US telephone # • U.S. residence or mailing address • standing instructions to transfer funds to a U.S. based account • Indications of a power of attorney over the account to a person with a U.S. address • “care of” or hold mail address as sole address
What will FFIs do if they think their customers are US persons? • If no IGA in effect: • request waiver of any right that would prevent FFI from sending info to IRS • Once received, report name, account numbers & amounts, TIN, gross proceeds, etc to the IRS (assume open book) • If not received: close account • If IGA is implemented: • report name, account numbers & amounts, TIN, gross proceeds, etc to the tax authority (e.g. CRA) for delivery to IRS
What do I have to do as a customer? • Upon receipt of a request for documentation: • Check to make sure it is the required documentation • Respond accordingly; or • Choose not to respond, close account; or • Choose not to respond, await account closure