US IRS is focusing on FATCA Intergovernmental Agreements currently in effect
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1 8 August 2016 International Tax Alert US IRS is focusing on FATCA Intergovernmental Agreements currently in effect EY Global Tax Alert Library Access both online and pdf versions of all EY Global Tax Alerts. Copy into your web browser: In Announcement , released 29 July 2016, the US Internal Revenue Service (IRS) updated guidance for jurisdictions that are treated as having an Intergovernmental Agreement (IGA) in effect for purposes of the Foreign Account Tax Compliance Act (FATCA). Background To facilitate the implementation of the FATCA rules, the United States negotiated IGAs with a number of partner jurisdictions to overcome local law restrictions. Given the time needed to agree to the terms of each IGA and, for Model 1 IGAs, the time needed to put in place local law and guidelines, certain IGAs were treated as in effect as long as the jurisdiction was taking the steps necessary to sign the IGA and bring it into force within a reasonable period. Foreign Financial Institutions (FFIs) resident or located in jurisdictions that had an IGA treated as in effect were permitted to register on the IRS FFI Registration website as registered deemed-compliant FFIs and, under the terms of the IGA, fulfill their reporting responsibility once the IGA came into force. Announcement As of the date of the Announcement, 83 IGAs have been signed, 61 of which are in force. There are 22 IGAs that are signed but not in force and an additional 30 IGAs that are agreed to in substance (unsigned). The charts below detail which countries have not signed agreements and which have. A complete list of the status of all countries may be found on Treasury s website.
2 2 International Tax Alert IGAs In-Effect as of 3 August 2016, in Accordance with IRS Announcement Agreements In Substance Agreements Signed (Not In Force) (Not Signed and Not In Force) Anguilla Kazakhstan Algeria Montserrat Antigua and Barbuda Macao Angola Panama Armenia Malaysia Belgium Philippines Bahrain Montenegro Cambodia Portugal Cabo Verde Nicaragua Chile San Marino China Paraguay Costa Rica South Korea Dominica Peru Croatia St. Lucia Dominican Republic Saudi Arabia Curaçao Thailand Greece Serbia Georgia Turkey Greenland Seychelles Hong Kong United Arab Emirates Grenada Taiwan Israel Uzbekistan Guyana Haiti Indonesia Iraq Trinidad and Tobago Tunisia Turkmenistan Ukraine According to the Announcement, Treasury will begin updating the IGA List on 1 January 2017, to reevaluate the progress of the 52 jurisdictions that have not brought their IGAs into force. This may result in the removal of certain jurisdictions from the list of jurisdictions deemed to have their IGAs in effect. Each jurisdiction with an IGA that is not yet in force and that wishes to continue being treated as having an IGA in effect must provide to Treasury by 31 December 2016, a detailed explanation as to why the jurisdiction has not yet brought the IGA into force and a step-by-step plan that the jurisdiction intends to follow in order to sign the IGA (if it has not yet been signed) and bring the IGA into force, including expected dates for achieving each step. In initially evaluating whether a jurisdiction will continue to be treated as if it has an IGA in effect, Treasury will consider whether: (1) the jurisdiction has submitted the explanation and plan (with dates) described above; and (2) that explanation and plan, as well as the jurisdiction s prior course of conduct in connection with IGA discussions, show that the jurisdiction continues to demonstrate firm resolve to bring its IGA into force. The Announcement also provides that Treasury will continue to update the list of jurisdictions treated as having an IGA in effect and may remove jurisdictions if they fail to adhere to the timeline provided to Treasury or there are other facts demonstrating a lack of resolve to finalize the process. Under the terms of the Model IGAs, when a jurisdiction moves from in effect status to in force status, all past due FATCA reports (e.g., tax years 2014, 2015, and potentially 2016) will be due on the following 30 September. FFIs that meet the 30 September FATCA reporting deadline for all past due reports will not be held in significant non-compliance. If Treasury determines that an IGA is no longer in effect, a jurisdiction will continue to be treated as having an IGA in effect for at least 60 days. To that end, FFIs in such a jurisdiction will have at least 60 days notice to update their FATCA registration to Participating FFI (unless the FFI qualifies for an exemption under the FATCA regulations).
3 International Tax Alert 3 Implications As a Participating FFI, the entity will be required to comply with FATCA by following the rules of the IRS Treasury Regulations (rather than the rules in the proposed IGA) and will likely need to revise its processes and systems to conform to the Regulations (including the imposition of 30% FATCA withholding on withholdable payments). The Participating FFI will need to immediately implement the rules of the IRS Regulations for new accounts (i.e., accounts held by account holders on-boarded on or after the effective date of the new FFI Agreement), but for pre-existing accounts will need to complete the due diligence review procedures in accordance with the IRS Regulations within one year of the effective date of the new FFI Agreement for high-value individual account holders and for all other pre-existing account holders within two years. An FFI that does not timely register as a Participating FFI will be presumed to be a Non-Participating FFI. Any FFI in one of the 52 jurisdictions that may lose their in effect status should strongly encourage their local government to finalize the IGA process and/or work with local industry groups to do the same. FFIs that must update their registration should also consider whether they must furnish new FATCA documentation (i.e., Forms W-8) to the financial institutions and counterparties with which they do business within 90 days to avoid being subjected to FATCA withholding. Withholding agents should monitor Treasury s IGA List for the anticipated changes in IGA status, as account holders moving from the status of a Reporting Model 1 FFI under an IGA to a Participating FFI will represent a change in circumstance that requires the collection of a new form or the imposition of FATCA withholding. For a change in circumstance under Chapter 4, withholding agents have 90 days to re-document the account or must apply the presumption rules starting on day 91, and impose FATCA withholding where applicable. A change in circumstance to a Chapter 4 status would not invalidate Chapter 3 status certified on a Form W-8, so a withholding agent would not have to withhold under Chapter 3 because a payee s Chapter 4 status changed.
4 International Tax Alert 4 For additional information with respect to this Alert, please contact the following: Ernst & Young LLP, International Tax Services Lilo Hester, Washington, DC lilo.hester@ey.com Ernst & Young LLP, Financial Services Tara Ferris, New York tara.ferris@ey.com Justin O Brien, New York justin.obrien@ey.com Deborah Pflieger, Washington, DC deborah.pflieger@ey.com John Staples, Washington, DC john.staples@ey.com International Tax Services Global ITS, Alex Postma, Tokyo ITS Director, Americas, Jeffrey Michalak, Detroit ITS Markets Leader, Americas, Stephen O Neil, New York Ernst & Young LLP, National Director of ITS Technical Services, Jose Murillo, Washington Member firm contacts, Ernst & Young LLP (US) Northeast Johnny Lindroos, McLean, VA Financial Services Chris J Housman, New York Central Mark Mukhtar, Detroit Southeast Scott Shell, Charlotte, NC Southwest Amy Ritchie, Austin West Beth Carr, San Jose, CA Canada Ernst & Young LLP (Canada) Albert Anelli, Montreal Israel Kost Forer Gabbay & Kasierer (Israel) Sharon Shulman, Tel Aviv Mexico Mancera, S.C. (Mexico) Koen Van t Hek, Mexico City Central America Ernst & Young, S.A. Juan C Chavarria Pozuelo, San José South America Ernst & Young Serviços Tributários S.S. Gil F. Mendes, São Paulo
5 EY Assurance Tax Transactions Advisory About EY EY is a global leader in assurance, tax, transaction and advisory services. The insights and quality services we deliver help build trust and confidence in the capital markets and in economies the world over. We develop outstanding leaders who team to deliver on our promises to all of our stakeholders. In so doing, we play a critical role in building a better working world for our people, for our clients and for our communities. EY refers to the global organization, and may refer to one or more, of the member firms of Ernst & Young Global Limited, each of which is a separate legal entity. Ernst & Young Global Limited, a UK company limited by guarantee, does not provide services to clients. For more information about our organization, please visit ey.com. About Ernst & Young s International Tax Services practices Our dedicated international tax professionals assist our clients with their cross-border tax structuring, planning, reporting and risk management. We work with you to build proactive and truly integrated global tax strategies that address the tax risks of today s businesses and achieve sustainable growth. It s how Ernst & Young makes a difference. International Tax Services 2016 EYGM Limited. All Rights Reserved. EYG no US NY ED None This material has been prepared for general informational purposes only and is not intended to be relied upon as accounting, tax, or other professional advice. Please refer to your advisors for specific advice. ey.com
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