Self-Certification Form for Entities (Entity Tax Residency and Classification Form)

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Self-Certification Form for Entities (Entity Tax Residency and Classification Form) Common Reporting Standard (CRS) Tax regulations require the collection of certain information about each account holder s tax residency status. Please complete the relevant sections below and provide any additional information as may be required. For the avoidance of doubt, a glossary has been provided to define the terms in this form for reference purposes only and do not constitute tax advice. In certain circumstances there may be a requirement to share this information with the relevant tax authorities. Failure to return the form may hold up account opening and may result in your account being treated as undocumented and consequently reportable. Section 1: Tax Residency Please complete all the questions from 1.1 to 1.5 and 1.7 below as they are mandatory. Please answer question 1.6 if you have an account with a Goldman Sachs Financial Institution in India. 1.1 Entity/Organization Name: 1.2 Date of Incorporation: 1.3 Jurisdiction of Incorporation: 1.4 Telephone Number: 1.5 Is the entity a listed company? If yes, provide the name of the stock exchange: 1.6 Provide additional information below if you have an account with a Goldman Sachs Financial Institution in India: 1.6.1 Customer ID (if existing): 1.6.2 Entity Constitution Type: 1.6.3 Entity Identification Type (T/G/C/E/O) a : 1.6.4 Entity Identification Number: 1.6.5 Entity Identification Issuing Jurisdiction: 1.7 Please complete the following table indicating (i) where the entity (account holder) is tax resident (i.e. where they are liable to pay tax), (ii) the entity s VAT Registration Number and (iii) the entity s Tax Reference Number (TRN) (i.e. TIN 1 ) for each jurisdiction indicated. If the entity is tax resident in more than three jurisdictions, please use a separate sheet on Section 4. If a TRN is unavailable, please provide the appropriate reason A, B or C where appropriate (see Appendix I for Reason definitions): Jurisdiction of tax residence Note i Jurisidiction of previous tax residence (if any) Residence address & company headquarter address if different from residence address Note i Business Registration Number b (if any) VAT Registration Number c (if any) Tax Reference Number (TRN), (i.e. TIN) TRN Type If no TRN is available, enter reason A, B or C Note ii 1 2 3 a Entity Identification type in India is as follows: T TIN, G - US GIIN, C Company Identification Number, E Global Entity Identification Number, O Other. b Business Registration Number is a unique reference number assigned to a company upon its incorporation. c VAT Registration Number is an identifier used in many jurisdictions including the jurisdictions of the European Union for value added tax purposes. Page 1

Note i. If you have an account with a Goldman Sachs Financial Institution in Japan and if your Residence address is different from Jurisdiction of tax residence the please provide reason(s) below: 1 2 3 Note ii. Please explain in the following boxes why you are unable to obtain a TRN if you selected Reason B above: 1 2 3 All organizations should complete Section 2 and 3. Section 2: All Entities Please complete the section below to indicate the tax classification as it applies to your organization. 2.1 Financial Institution (FI) 8 If your organization is an FI, please tick the category it falls under and provide the Global Intermediary Identification Number (GIIN) if applicable: 2.1 (a) If you do not have an account with a Goldman Sachs FI in Japan, go to Section 2.1 (b). Please tick this box if you have an account with a Goldman Sachs FI in Japan and if your entity is NOT a specified entity (NOT Tokutei Houjin), and go to Section 3. 2.1 (b) Please tick this box if you have an account with a Goldman Sachs FI in India and if your entity is an Indian FI. Also, please provide your GIIN in Section 2.1 (f) and go to Section 3. If not, go to Section 2.1 (c). 2.1 (c) Please tick this box if you have an account with a Goldman Sachs FI in India and if substantial owners/controlling Persons 17 are tax resident in India. If yes, go to Section 3. If not, go to Section 2.1 (d). 2.1 (d) Investment Entity 11 (i) Please tick this box if your organization is an Investment Entity located in a Non-Participating Jurisdiction and managed by another FI. Please also complete Section 2.3. (ii) Please tick this box if your organization is another Investment Entity 2.1 (e) Please tick this box if your organization is Depository Institution 9, Custodial Institution 10 or Specified Insurance Company. 13 2.1 (f) If applicable, please provide your organization s GIIN if you tick boxes in Section 2.1 (b), 2.1 (d) and 2.1 (e). If you ticked 2.1 (d) or 2.1 (e), go to Section 2.4. 2.2 Non-Financial Institution 2.2 (a) (For a Goldman Sachs FI in Japan only) If you do not have an account with a Goldman Sachs FI in Japan, go to Section 2.2(b). (i) Please tick this box if you have an account with a Goldman Sachs FI in Japan and if your entity is NOT a specified entity (NOT Tokutei Houjin), and go to Section 3. (ii) Please tick this box if you have an account with a Goldman Sachs FI in Japan and if your entity is a specified entity (Tokutei Houjin), and go to Section 2.3. 2.2 (b) Please declare which of the following your organization is: (i) Please tick this box if your organization is Active NFE 15, and go to Section 2.5. (ii) Please tick this box if your organization is Passive NFE 16, and go to Section 2.3. Page 2

2.3 Controlling Person(s) If you ticked Section 2.2 (a) (ii) or Section 2.2 (b) (ii), please indicate your Controlling Person(s) 17 information by completing below tables. If Controlling Person has more than 3 jurisdiction tax residencies, please use Section 4. If a TRN is unavailable, please provide the appropriate reason A, B or C where appropriate (See Appendix I for Reason definitions) Name Date of birth Place of birth Jurisdiction of tax residence Note iii Note iii Residence address Tax Reference Number (TRN) (i.e. TIN/NI/SSN) Note iv TRN Type If no TRN available enter Reason A,B or N ote v Type of Controlling Persons (See Appendix II) Legal name of entity of which you are Controlling Person Note iii. If you have an account with a Goldman Sachs FI in Japan and if your Residence address is different from Jurisidiction of tax residence of the Controlling Person then please provide reason(s) below: 1 2 3 Note vi. Please do NOT put Japanese individual numbers (Japan My Number) Note v. Please explain in the following boxes why you are unable to obtain a TRN if you selected Reason B above. 1 2 3 Please provide additional details regarding Controlling Persons: Name (cont d) Note vi Identification Type Identification Number Occupation Occupation Note vi Type Note vi Nationality Note vi Hong Kong Identity Note vii card/passport number Note vi. to be provided if the entity (account holder) has an account with a Goldman Sachs FI in India. Note vii. to be provided if the entity (account holder) has an account with a Goldman Sachs FI in Hong Kong. Go to Section 3. Page 3

2.4 Is your organization described in any of the below categories (as defined under CRS, Section VIII (B) (30)). If yes, please select the relevant option which categorises the Financial Institution as a non-reporting FI and if not, please select (viii), none of the above: (i) a Governmental Entity 20, International Organization 21 or Central Bank 22. (Note: When any of these entities conduct a commercial financial activity of a type engaged by a Specified Insurance Company, Custodial Institution, or Depository Institution, they will not be regarded as a non-reporting FI with respect to those payments received in connection with such activities). (ii) a Broad Participation 23 and/or a Narrow Participation Retirement Fund 24. (iii) a Pension Fund of a Governmental Entity, International Organization or Central Bank 25. (iv) Qualified Credit Card Issuer 26. (v) any low risk non-reporting FI 31. (vi) an Exempt Collective Investment Vehicle 30. (vii) a trust to the extent that the trustee is a Reporting FI and meets all its reporting requirements (viii) none of the above go to Section 2.5 If you ticked (i)-(vii), go to Section 3. 2.5 Is your organization described in any of the below categories (as defined under CRS, Section VIII (D) (2)). If yes, please select the relevant option which categorises the account as a non-reportable person and if not, please select (vii), none of the above: (i) a corporation the stock of which is regularly traded on one or more established securities markets. Provide the name of the corporation: (ii) any corporation that is a Related Entity 19 of a corporation described in clause above. Provide the name of the stock exchange where traded: Provide the name of the corporation: (iii) a Governmental Entity. (iv) an International Organization. (v) a Central Bank (vi) a Financial Institution (vii) none of the above Go to Section 3. Page 4

Section 3: Consent to Report I understand that the information supplied by me is covered by the full provisions of the terms and conditions governing my/the Account Holder s relationship with Goldman Sachs and each of its affiliates setting out how Goldman Sachs and each of its affiliates may use and share the information supplied by me to Goldman Sachs and each of its affiliates on this form. I acknowledge and agree that the information contained in this form and the information regarding the account(s) set out above may be reported to the tax authorities of the jurisdiction in which the account is maintained and that those tax authorities may provide the information to the jurisdiction or jurisdictions in which I/the Account Holder am/is resident for tax purposes. I undertake to advise Goldman Sachs and each of its affiliates promptly of any change in circumstances which causes the information contained herein to become incorrect and to provide Goldman Sachs and each of its affiliates with a suitably updated Declaration within 90 days d of such change in circumstances. I certify that I am the Account Holder (or am authorised to sign for the Account Holder) of all the account(s) to which this form relates. I declare that all statements made in this declaration are, to the best of my knowledge and belief, correct and complete. I agree that I will submit a new form within 90 days d if any certification on this form becomes incorrect. Print Name: Signature: Date: Note: Please indicate the capacity in which you are signing the form (for example Authorised Officer ). If signing under a power of attorney please also attach a certified copy of the power of attorney. Capacity: d If you have an account with the Reporting FI that is tax resident in British Virgin Islands, Cayman Islands, India, Isle of Man, Poland, Austria and Hong Kong then you need to provide the self-certification form within 30 days where any change in circumstances occurs or if any certification on the form becomes incorrect. If you have an account with the Reporting FI that is tax resident in Poland, then the client is required to inform the FI regarding change in circumstance in 14 days and submit the form within 30 days. Page 5

Section 4: Additional Tax Residency information for Entity and Controlling Persons If the entity (account holder) and controlling persons are tax resident in more than three jurisdictions please use this sheet to provide the additional information as mentioned in Section 1 sub section 1.7 and Section 2.3. Page 6

Definitions Ref Term Definition 1 TIN number The term TIN means Taxpayer Identification Number or a functional equivalent in the absence of a TIN. A TIN is a unique combination of letters or numbers assigned by a jurisdiction to an individual or an Entity and used to identify the individual or Entity for the purposes of administering the tax laws of such jurisdiction. Further details of acceptable TINs can be found at the following link [OECD Portal] <http://search.oecd.org/tax/automatic-exchange/tinsandtaxresidency/taxidentificationnumberstins/> Some jurisdictions do not issue a TIN. However, these jurisdictions often utilise some other high integrity number with an equivalent level of identification (a functional equivalent ). Examples of that type of number include, for individuals, a social security/insurance number, citizen/personal identification/service code/number, and resident registration number. 2 Entity The term Entity means a legal person or a legal arrangement, such as a corporation, organisation, partnership, trust or foundation. 3 Account Holder The term Account Holder means the person listed or identified as the holder of a Financial Account. A person holding a Financial Account for the benefit of another person as an agent, a custodian, a nominee, a signatory, an investment advisor, an intermediary, or as a legal guardian, is not treated as the Account Holder. In these circumstances that other person is the Account Holder. For example in the case of a parent/child relationship where the parent is acting as a legal guardian, the child is regarded as the Account Holder. With respect to a jointly held account, each joint holder is treated as an Account Holder. 4 Reportable Person A Reportable Person is defined as a Reportable Jurisdiction Person, other than: (1) a corporation the stock of which is regularly traded on one or more established securities markets; (2) any corporation that is a Related Entity of a corporation described in clause (i); (3) a Governmental Entity; (4) an International Organisation; (5) a Central Bank; or (6) a Financial Institution (except for an Investment Entity described in Sub Paragraph A(6) b) of the CRS that are not Participating Jurisdiction Financial Institutions, which are treated as Passive NFE s.) 5 Reportable Jurisdiction A Reportable Jurisdiction is a Participating Jurisdiction with which an obligation to provide financial account information is in place. 6 Participating Jurisdiction A Participating Jurisdiction means a jurisdiction with which an Intergovernmental or Competent Authority Agreement is in place pursuant to which it will provide the information required on the automatic exchange of financial account information as set out in the CRS. 7 Reportable Jurisdiction Person A reportable jurisdiction Person is an Entity that is tax resident in a Reportable Jurisdiction(s) under the tax laws of such jurisdiction(s) - by reference to local laws in the jurisdiction where the Entity is established, incorporated or managed. An Entity such as a partnership, limited liability partnership or similar legal arrangement that has no residence for tax purposes shall be treated as resident in the jurisdiction in which its place of effective management is situated. As such if an Entity certifies that it has no residence for tax purposes it should complete the form stating the address of its principal office. Dual resident Entities may rely on the tiebreaker rules contained in tax conventions (if applicable) to determine their residence for tax purposes. 8 Financial Institution Any of: - A Depository Institution - A Custodial Institution - An Investment Entity - A Specified Insurance Company 9 Depository institution Any Entity that accepts deposits in the ordinary course of a banking or similar business. 10 Custodial institution Any Entity that holds, as a substantial portion of its business, financial assets for the account of others. An Entity holds financial assets for the account of others as a substantial portion of its business if the Entity s gross income attributable to the holding of financial assets and related financial services equals or exceeds 20 percent of the Entity s gross income during the shorter of: (i) the three-year period that ends on 31 December (or the final day of a non-calendar year accounting period) prior to the year in which the determination is being made; or (ii) the period during which the Entity has been in existence. Page 7

11 Investment Entity (i) Any entity will be treated as an Investment Entity if meets conditions below: a. Entity that conducts as a business or is managed by an Entity that conducts as a one or more of the following activities or operations for or on behalf of a customer: (1) trading in money market instruments (cheques, bills, certificates of deposit, derivatives, etc.); foreign exchange; exchange, interest rate and index instruments; transferable securities; or commodity futures trading; (2) individual and collective portfolio management; or (3) otherwise investing, administering, or managing funds or money on behalf of other persons. b. Satisfies the Financial Asset Test (FAT). If 50% or more of the entities gross income is attributable to the activities mentioned above during the shorter of: (1) The three-year period ending on 31 December of the year preceding the year in which the determination is made; or (2)The period during which the entity has been in existence. (ii)the second type of Investment Entity ( Investment Entity managed by another Financial Institution ) is any Entity the gross income of which is primarily attributable to investing, reinvesting, or trading in Financial Assets where the Entity is managed by another Entity that is a Depository Institution, a Custodial Institution, a Specified Insurance Company, or the first type of Investment Entity and satisfies the FAT mentioned above. 12 Investment Entity managed by another FI 13 Specified Insurance Company 14 Participating Jurisdiction Financial Institution An Entity is managed by another Entity if the managing Entity performs, either directly or through another service provider on behalf of the managed Entity, any of the activities or operations described in (a) (c) above in the definition of Investment Entity. An Entity only manages another Entity if it has discretionary authority to manage the other Entity s assets (either in whole or part). Where an Entity is managed by a mix of Financial Institutions, NFEs or individuals, the Entity is considered to be managed by another Entity that is a Depository Institution, a Custodial Institution, a Specified Insurance Company, or the first type of Investment Entity, if any of the managing Entities is such another Entity. Under the CRS where this type of Entity is located in a Non-Participating Jurisdiction and managed by another Financial Institution then it is treated as Passive NFE. Any Entity that is an insurance company (or the holding company of an insurance company) that issues, or is obligated to make payments with respect to, a Cash Value Insurance Contract or an Annuity Contract. The term Participating Jurisdiction Financial Institution means (i) any Financial Institution that is tax resident in a Participating Jurisdiction, but excludes any branch of that Financial Institution that is located outside of that jurisdiction, and (ii) any branch of a Financial Institution that is not tax resident in a Participating Jurisdiction, if that branch is located in such Participating Jurisdiction. Page 8

15 Active NFE Any NFE (being an entity that is not a FI) that meets any of the following criteria: a) Less than 50 percent of the NFE s gross income for the preceding calendar year or other appropriate reporting period is passive income and less than 50 percent of the assets held by the NFE during the preceding calendar year or other appropriate reporting period are assets that produce or are held for the production of passive income; b) The stock of the NFE is regularly traded on an established securities market or the NFE is a Related Entity of an Entity the stock of which is traded on an established securities market; c) The NFE is a governmental entity, an International organisation, a Central bank, or an Entity wholly owned by one or more of the foregoing; d) Substantially all of the activities of the NFE consist of holding (in whole or in part) the outstanding stock of, or providing financing and services to, one or more subsidiaries that engage in trades or businesses other than the business of a Financial Institution, except that an entity does not qualify for this status if the entity functions (or holds itself out) as an investment fund, such as a private equity fund, venture capital fund, leveraged buyout fund or any investment vehicle whose purpose is to acquire or fund companies and then hold interests in those companies as capital assets for investment purposes; e) The NFE is not yet operating a business and has no prior operating history, but is investing capital into assets with the intent to operate a business other than that of a Financial Institution; provided, that the NFE shall not qualify for this exception after the date that is 24 months after the date of the initial organisation of the NFE; f) The NFE was not a Financial Institution in the past five years, and is in the process of liquidating its assets or is reorganising with the intent to continue or recommence operations in a business other than that of a Financial Institution; or g) The NFE primarily engages in financing and hedging transactions with or for Related Entities that are not Financial Institutions, and does not provide financing or hedging services to any Entity that is not a Related Entity, provided that the group of any such Related Entities is primarily engaged in a business other than that of a Financial Institution. (h) The NFE meets all of the following requirements: (1)It is established and operated in its jurisdiction of residence exclusively for religious, charitable, scientific, artistic, cultural, athletic, or educational purposes; or it is established and operated in its jurisdiction of residence and it is a professional organisation, business league, chamber of commerce, labour organisation, agricultural or horticultural organisation, civic league or an organisation operated exclusively for the promotion of social welfare; (2) It is exempt from income tax in its jurisdiction of residence; (3)It has no shareholders or members who have a proprietary or beneficial interest in its income or assets; (4)The applicable laws of the NFE s jurisdiction of residence or the NFE s formation documents do not permit any income or assets of the NFE to be distributed to, or applied for the benefit of, a private person or non-charitable entity other than pursuant to the conduct of the NFE s charitable activities, or as payment of reasonable compensation for services rendered, or as payment representing the fair market value of property which the entity has purchased; and (5)The applicable laws of the NFE s jurisdiction of residence or the NFE s formation documents require that, upon the NFE's liquidation or dissolution, all of its assets be distributed to a Governmental Entity or other non-profit organisation, or escheat to the government of the NFE s jurisdiction of residence or any political subdivision thereof. 16 Passive NFE Any NFE (being an entity that is not a FI) that is not an Active NFE. Similar treatment will be applied to an Investment entity in a non-reportable jurisdiction. 17 Controlling Persons The natural persons, who exercise control over an Entity. In the case of a trust, such term means the settlor, the trustee, the protector (if any) the beneficiary or class of beneficiaries, and any other natural person exercising ultimate effective control over the trust, and in the case of a legal arrangement other than a trust, such term means persons in equivalent or similar positions. 18 Control Control over an Entity is generally exercised by the natural person(s) who ultimately has a controlling ownership interest in the Entity. Where no natural person(s) exercises control through ownership interests, the Controlling Person(s) of the Entity will be the natural person(s) who exercises control of the Entity through other means. Where no natural person(s) is/are identified as exercising control of the Entity (for example where no underlying person has control of greater than 25% of the entity) then under the CRS the Controlling Person is deemed to be the natural person who hold the position of senior managing official. 19 Related Entity An entity is regarded as being related to another entity if: 1. One controls the other; or 2. The two entities are under common control. Control means: Direct or indirect ownership of more than 50% of the vote and value in an entity. Page 9

20 Governmental entity The government of a jurisdiction, any political subdivision of a jurisdiction (which, for the avoidance of doubt, includes a state, province, county, or municipality), or any wholly owned agency or instrumentality of a jurisdiction or any one or more of the foregoing (each, Governmental Entity ). This category is comprised of the integral parts, controlled entities, and political subdivisions of a jurisdiction. 1. An integral part of a jurisdiction means any person, organisation, agency, bureau, fund, instrumentality, or other body, however designated, that constitutes a jurisdiction, with no portion inuring to the benefit of any private person. An integral part does not include any individual who is a sovereign, official, or administrator acting in a private or personal capacity. 2. A controlled entity means an Entity that is separate in form from the jurisdiction or that otherwise constitutes a separate juridical entity, provided that: a) The Entity is wholly owned and controlled by one or more Governmental Entities directly or through one or more controlled entities; b) The Entity s net earnings are credited to its own account or to the accounts of one or more Governmental Entities, with no portion of its income inuring to the benefit of any private person; and c)the Entity s assets vest in one or more Governmental Entities upon dissolution. 3. Income does not inure to the benefit of private persons if such persons are the intended beneficiaries of a governmental program, and the program activities are performed for the general public with respect to the common welfare or relate to the administration of some phase of government. Notwithstanding the foregoing, however, income is considered to inure to the benefit of private persons if the income is derived from the use of a governmental entity to conduct a commercial business, such as a commercial banking business, that provides financial services to private persons. 21 International organisation Any international organisation or wholly owned agency or instrumentality thereof. This category includes any intergovernmental organisation (including a supranational organisation) (1) that is comprised primarily of governments; (2) that has in effect a headquarters or substantially similar agreement with the jurisdiction; and (3) the income of which does not inure to the benefit of private persons. 22 Central Bank An institution that is by law or government sanction the principal authority, other than the government of the jurisdiction itself, issuing instruments intended to circulate as currency. Such an institution may include an instrumentality that is separate from the government of the jurisdiction, whether or not owned in whole or in part by the jurisdiction. 23 Broad participation retirement fund A fund established to provide retirement, disability, or death benefits, or any combination thereof, to beneficiaries that are current or former employees (or persons designated by such employees) of one or more employers in consideration for services rendered, provided that the fund: 1. Does not have a single beneficiary with a right to more than five percent of the fund s assets; 2. Is subject to government regulation and provides annual information reporting to the tax authorities; and 3. Satisfies at least one of the following requirements: a) The fund is generally exempt from tax on investment, or taxation of such income is deferred or taxed at a reduced rate, due to its status as a retirement or pension plan; b) The fund receives at least 50 percent of its total contributions (other than transfers of assets from other plans or from retirement and pension accounts) from the sponsoring employers; c) Distributions or withdrawals from the fund are allowed only upon the occurrence of specified events related to retirement, disability, or death (except rollover distributions to other retirement funds or retirement and pension accounts), or penalties apply to distributions or withdrawals made before such specified events; or d) Contributions (other than certain permitted make-up contributions) by employees to the fund are limited by reference to earned income of the employee or may not exceed USD 50 000 annually, applying the rules set forth for account aggregation and currency translation. 24 Narrow participation retirement fund A fund established to provide retirement, disability, or death benefits to beneficiaries that are current or former employees (or persons designated by such employees) of one or more employers in consideration for services rendered, provided that: 1. The fund has fewer than 50 participants; 2. The fund is sponsored by one or more employers that are not Investment Entities or Passive NFEs; 3. The employee and employer contributions to the fund (other than transfers of assets from retirement and pension accounts) are limited by reference to earned income and compensation of the employee, respectively; 4. Participants that are not residents of the jurisdiction in which the fund is established are not entitled to more than 20 percent of the fund s assets; and 5. The fund is subject to government regulation and provides information reporting to the authorities. 25 Pension fund of a Governmental entity, International organisation or Central Bank A fund established by a Governmental entity, International organisation or Central Bank to provide retirement, disability, or death benefits to beneficiaries or participants that are current or former employees (or persons designated by such employees), or that are not current or former employees, if the benefits provided to such beneficiaries or participants are in consideration of personal services performed for the Governmental entity, International organisation or Central Bank. Page 10

26 Qualified Credit Card Issuer A Financial Institution satisfying the following criteria: 1. The Financial Institution is a Financial Institution solely because it is an issuer of credit cards that accepts deposits only when a customer makes a payment in excess of a balance due with respect to the card and the overpayment is not immediately returned to the customer; and 2. Beginning on or before the date the jurisdiction s adopted CRS, the Financial Institution implements policies and procedures either to prevent a customer from making an overpayment in excess of USD 50,000, or to ensure that any customer overpayment in excess of USD 50,000 is refunded to the customer within 60 days, in each case applying the rules set forth for account aggregation and currency translation. For this purpose, a customer overpayment does not refer to credit balances to the extent of disputed charges but does include credit balances resulting from merchandise returns. 27 Trustee Documented Trust A trust that is an FI is a non-reporting FI to the extent that the trustee is a reporting FI and complies with the reporting obligations with respect to all Reportable Accounts of the trust. 28 Investment Advisors and Investment Managers Investment advisors and Investment managers are to be considered as Investment Entity only if they meet the requirements for an Investment Entity. 29 Collective Investment Vehicle 30 Exempt Collective Investment Vehicle Investment Entities regulated as a collective investment vehicle, provided that all the interest are held by or through: 1. Individuals; 2. Entities that are Non-Reportable Persons, except Passive NFEs with Controlling persons who are Reportable Persons. Investment Entity that is regulated as a collective investment vehicle, provided that all of the interests in the collective investment vehicle are held by or through individuals or entities that are not Reportable Persons, except a Passive NFE with Controlling Persons who are Reportable Persons. An Investment Entity that is regulated as a collective investment vehicle does not fail to qualify as an Exempt Collective Investment Vehicle, solely because the collective investment vehicle has issued physical shares in bearer form, provided that: 1. The collective investment vehicle has not issued, and does not issue, any physical shares in bearer form after the date the jurisdiction s adopted CRS. 2. The collective investment vehicle retires all such shares upon surrender; 3. The collective investment vehicle performs the due diligence procedures set forth in Sections II through VII and reports any information required to be reported with respect to any such shares when such shares are presented for redemption or other payment; and 4. The collective investment vehicle has in place policies and procedures to ensure that such shares are redeemed or immobilized as soon as possible, and in any event prior the date the jurisdiction s adopted CRS. 31 Low Risk non-reporting FI A financial institution can also be a Non-Reporting Financial Institution, provided that: 1. The financial institution presents a low risk of being used to evade tax; 2. The financial institution has substantially similar characteristics to any of the financial institutions described in Non- Reporting categories (i) (iv) under section 2.5 of the form; 3. The financial institution is defined in domestic law as a Non-Reporting Financial Institution; and 4. The status of the Financial Institution as a Non-Reporting Financial Institution does not frustrate the purpose of the Common Reporting Standard. Page 11

Appendix I Reason for No Tax Reference Number (i.e. TIN) Reason A - The jurisdiction where I am liable to pay tax does not issue TRNs to its residents Reason B - The Account Holder is otherwise unable to obtain a TRN or equivalent number (Please explain why you are unable to obtain a TRN if you have selected this reason) Reason C - No TRN is required. (Note. Only select this reason if the authorities of the jurisdiction of tax residence entered do not require the TRN to be disclosed) Appendix II Type of Controlling Person a. Controlling Person of a legal person control by ownership b. Controlling Person of a legal person control by other means c. Controlling Person of a legal person senior managing official d. Controlling Person of a trust settlor e. Controlling Person of a trust trustee f. Controlling Person of a trust protector g. Controlling Person of a trust beneficiary h. Controlling Person of a trust other i. Controlling Person of a legal arrangement (non-trust) settlor-equivalent j. Controlling Person of a legal arrangement (non-trust) trustee-equivalent k. Controlling Person of a legal arrangement (non-trust) protector-equivalent l. Controlling Person of a legal arrangement (non-trust) beneficiary-equivalent m. Controlling Person of a legal arrangement (non-trust) other-equivalent Copyright 2014 The Goldman Sachs Group, Inc. All rights reserved. This material is for your private information, and we are not soliciting any action based upon it. This document is not to be construed as an offer to sell or the solicitation of an offer to buy any security in any jurisdiction where such an offer or solicitation would be illegal. The material is based upon information that we consider reliable, but we do not represent that it is accurate or complete, and it should not be relied upon as such. Opinions expressed are our current opinions as of the date appearing on this material only. No part of this material may be (i) copied, photocopied, or duplicated in any form, by any means, or (ii) redistributed without Goldman Sachs prior written consent. We do not provide tax, accounting, or legal advice to our clients, and all investors are advised to consult with their tax, accounting, or legal advisers regarding any potential investment. This material is based on information that we consider reliable, but we do not represent that it is accurate, complete and/or up to date, and it should not be relied on as such. If you are unsure about the legal and tax consequences of any of the issues outlined above then we strongly urge you to seek advice from your own legal counsel or tax advisor. Page 12