A Comprehensive FATCA Solution

Similar documents
The Final FATCA Regulations Are Out What Does It Mean for the Swiss Economy

Foreign Account Tax Compliance Act (FATCA) Implications, Considerations and Responses

FIS: IT WOULD BE A FOLLY TO TREAT GATCA AS FATCA 2.0 WHITE PAPER

FATCA compliance: what, why, how?

The Foreign Account Tax Compliance Act (FATCA)

Newgen Solution for FATCA compliance. Built-on Dynamic Rules Driven BPM Suite

FATCA Compliance Solution

FATCA Update and its Global Reach

The facts on FATCA. Prioritize, plan and prepare

WHITE PAPER. Impact of FATCA on Client Onboarding Achieve FATCA compliance with effective, result-oriented IT and operational changes

THE FATCA PROPOSED REGULATIONS: THE U.S. TREASURY DEPARTMENT STRIVES TO MAKE COMPLIANCE MORE USER FRIENDLY

Taking the Complexity out of Tax Efficient Accounting

Sight FATCA. line of. Frequently asked questions. table of contents. November 2, 2012

FATCA & CRS Your Foundation in a Changing World

New US Regulatory Regime for Commodity Pools

Global IRW Newsbrief Information reporting and withholding (IRW)

Bank Depository User Group Annual Meeting Foreign Account Tax Compliance Act (FATCA)

FATCA:INVESTMENT REPORTING AND IMPLICATIONS FOR CARIBBEAN FINANCIAL INSTITUTIONS

Information reporting and withholding: the impact of Foreign Account Tax Compliance Act (FATCA) on multinational organizations.

Roundtable Discussion Foreign Account Tax Compliance Act (FATCA) Andrew Mitchel, Bob Rinninsland, Stan Ruchelman

Automatic Exchange of Information (AEOI) CRS and FATCA Regulatory Compliance Your Foundation in a Changing World

OECD Common Reporting Standard

FATCA Service Bureau

A closer look at the final regulations and the path forward

Key challenges faced by AML/KYC professionals alongside FATCA

Oracle Financial Services FATCA Management User Guide. Release 1.0 January 2013

KPMG ID Register. Addressing the challenges faced by alternative funds in Anti-Money Laundering and FATCA/CRS obligations. kpmg.

AML/KYC Requirements as they Arise in the Context of FATCA Compliance

FATCA What is the impact to you?

Fiduciary and Investment Risk Management Association 28 th National Risk Management Training Conference

FATCA: Impact on Mauritius Entities

Final Guidance Notes on the administration of the US-UK Intergovernmental Agreement (IGA) issued by HMRC

Common Reporting Standard A work in progress requiring high reactivity. Alain Verbeken Director Cross-border Tax Deloitte

Yield and. Protection. Anti-Fraud. Uncover insights you never thought were possible.

FATCA: An Update for STEP

How Thai Financial Institutions are Preparing for FATCA s 31 Dec Deadline

GOVERNMENT OF SEYCHELLES

Article from: Taxing Times. October 2014 Volume 10, Issue 3

Tax management: Navigating a perfect storm of tax complexity

Standard for Automatic Exchange of Financial Information in Tax Matters. Implementation Handbook

FUND ADMINISTRATION EXPERTISE

FATCA: Impact on Cayman Islands Entities

FSC/FPA Industry Guidance (being FSC Guidance Note No. 24) Managing AML/CTF and FATCA Customer Identification Obligations.

Automatic Exchange of Information (AEI) Foreign Account Tax Compliance Act (FATCA)

SWIFT for SECURITIES. How the world s post-trade experts can help you improve efficiency, and prepare for tomorrow

Tax Information Authority

US Regulations

FATCA: The final regulations have landed let the games begin

[TEXT OF THE FATCA COMMENT LETTER SUBMITTED BY SENATOR CARL LEVIN]

PwC Alert. Foreign Account Tax Compliance Act (FATCA) The US federal law affecting local financial institutions

Foreign Account Tax Compliance Act ( FATCA )

IMPLICATIONS OF FATCA FOR CAYMAN ISLANDS ENTITIES

The Foreign Account and Tax Compliance Act (FATCA)

Abuse that Spawned FATCA

June FATCA impact on real estate industry

White Paper. Lifting the Veil Why Understanding Beneficial Ownership Is Now Essential for AML Compliance

FATCA the final countdown

FATCA s impact on the asset management industry

A strategic approach to global derivative trade reporting

Introduction to FATCA (Foreign Account Tax Compliance Act) Introduction to FATCA

Cayman Islands Mutual Funds

FATCA How It Impacts Technology & Operations. 3 May 2012

Trends in Insurance Channels 2012

GlobalCollateral. for OTC Derivatives Delivering a step change in efficiency

What Impact Will FATCA Have on Offshore Hedge Funds and How Should Such Funds Prepare for FATCA Compliance?

Anti-Money Laundering ISRAEL

Foreign Account Tax Compliance Act Steps to Compliance

Global IRW Newsbrief Information reporting and withholding (IRW)

IRS Releases Preliminary Guidance on the FATCA Provisions of the HIRE Act

FATCA and your business. Foreign Account Tax Compliance Act January 2012

Account Opening Supplement - Tax Status

Impact of FATCA on Cayman Islands Entities

FINANCIAL INSTITUTION GOVERNANCE AND REGULATION SERVICES EXPERTS WITH IMPACT

FIs CRA Gives Details on CRS Approach for 2017

The New Global Standard: Automatic Exchange of Information on Financial Accounts

KPMG TaxWatch Webcast: Final FATCA Regulations The Compliance Challenge Is On

FATCA Countdown Number 4

Guidewire ClaimCenter. Adapt and succeed

April 4, The Honorable Douglas H. Shulman Commissioner Internal Revenue Service 1111 Constitution Ave., NW Washington, DC 20224

Failure to prevent the facilitation of tax evasion: Our solution to help you avoid committing the new offence

-Rohit Johri

Introduction to FATCA. Introduction to FATCA

The tax provisions introduced in the Foreign Account IMPACT OF FATCA ON FOREIGN FUNDS SPOTLIGHT ON

Real World RegTech. The Temenos guide to. Accounting IFRS 9. Know Your Customer Common Reporting Standard (CRS)

Failure to prevent the facilitation of tax evasion:

FIS INSURANCE PROCESS CONTROLLER SYSTEM INTEGRATION, PROCESS AUTOMATION AND COMPOSITE APPLICATION PLATFORM

Webinar: Foreign Account Tax Compliance Act

Oracle Financial Services FATCA Management Assessment Guide. Release 2.0 August 2014

FOREIGN ACCOUNT TAX COMPLIANCE ACT (FATCA)

GUIDANCE NOTES ON THE IMPLEMENTATION OF FATCA IN IRELAND

Taking control of FATCA Building effective internal controls and certifying compliance

FORM 2C TRUST ACCOUNT AND ENTITY DECLARATION FORM

FATCA considerations for multinational non-financial corporate groups

United States: Evolving toward Next-Level Taxpayer Service. Accenture Digital Taxpayers Research and Insights

Foreign Account Tax Compliance Act (FATCA) Mastering the challenges of the new US regulation

FATCA: Updates and Coordinating Regulations

COMMENTS TAX EXECUTIVES INSTITUTE, INC. REG and REG relating to

AML & KYC QUESTIONNAIRE FOR FINANCIAL INSTITUTIONS

Explanations of Foreign Account Tax Compliance Acts (FATCA) and Common Reporting Standard (CRS) Terms used in the Application Form

Foreign Withholding Rules & FATCA

Transcription:

in collaboration with A Comprehensive FATCA Solution End-to-end automated legal, technology and software solution facilitates global compliance with U.S. Foreign Account Tax Compliance Act requirements Financial institutions, non-financial foreign entities, withholding agents and qualified intermediaries around the world will soon become subject to the U.S. Foreign Account Tax Compliance Act (FATCA) 1 legislation, which was enacted to assist U.S. regulators to combat offshore tax evasion by U.S. taxpayers using offshore financial accounts and investment vehicles. FATCA will impose significant due diligence, reporting, withholding, verification and record-keeping burdens on both U.S. and non-u.s. financial institutions. The U.S. Department of the Treasury (U.S. Treasury) and the U.S. Internal Revenue Service (IRS) utilize both unilateral and bilateral approaches to encourage FATCA compliance. As initially drafted, FATCA leverages the U.S. capital markets by requiring U.S. and non-u.s. Withholding Agents (WAs) to withhold and pay-over to the IRS a 30% FATCA tax on payments of income from U.S. sources and gross proceeds from U.S. investments if foreign financial institutions (FFIs) and non-financial foreign entities (NFFEs) recipients are not compliant with FATCA. 1 Subject to transition rules

In comments to the IRS and U.S. Treasury, banking organizations have estimated it will cost each large foreign bank $250 million to diligence its accounts and identify those held by U.S. parties a total of $7.5 billion spent by the top 30 foreign banks 2. Compliance with FATCA could result in FFIs and NFFEs breaching local laws for instance, bank secrecy, privacy, data protection and human rights. Therefore, the U.S. Treasury has adopted a bilateral approach to collaborate with foreign governments to implement FATCA through intergovernmental agreements (IGAs), whereby FATCA partner jurisdictions agree to enact local laws to implement FATCA, including requiring local FFIs to comply with FATCA due diligence, reporting, withholding, verification and recordkeeping obligations, thereby eliminating most legal conflicts and alleviating some administrative burdens and costs. To date, several countries have signed IGAs and over 40 countries are in negotiations with the U.S. Treasury for, or considering, IGAs. FATCA guidance is complicated. On January 17, 2013 the U.S. Treasury and IRS issued 540 pages of FATCA regulations. IGAs, while modestly less complicated, reference the regulations and add complexity for global FFIs that conduct business both in and outside of FATCA partner countries. Virtually every type of crossborder financial transaction is impacted by FATCA. Practically speaking, it will take finely choreographed coordination of U.S. and local legal, tax, risk and compliance professionals supported by technology, operations and software experts to design, implement and sustain a defensible FATCA compliance program. In 2014, FATCA enters into force and certain actions will need to be taken before then. A robust, future-proof FATCA compliance system will need to be designed and implemented to: Comply with local and U.S. requirements; Automate applicable FATCA exemptions; Manage complex rules across multiple jurisdictions, lines of business and products; Manage and automate pre-existing account due diligence requirements; Sustain reporting, withholding, verification and recordkeeping protocols; and Include strategic flexibility to build on your institution s existing Know Your Customer (KYC) systems. In particular, existing Know Your Customer systems require flexibility to adapt to FATCA requirements changes; business change; other FATCA-like regimes; and other regulatory requirements such as anti-money laundering (AML), bank secrecy, data management, customer due diligence/enhanced due diligence, KYC privacy, sanctions management, tax and other reporting. In connection with FATCA implementation, we may also recommend strategic planning opportunities to lessen FATCA impact by, for instance, ring-fencing certain businesses and conducting an entity review to streamline corporate secretary functions. 2 FATCA Creating A Compliance Gold Rush by C.M. Matthews, May 1, 2012, WJS Blogs, blogs.wsj.com

Risk the way we do it 5 Things to Know When Planning for FATCA 1 It s not just for banking and capital markets. FATCA doesn t only affect banks, brokers, dealers, custodians or investment firms. Insurance companies must also plan for FATCA since it may impact cash value insurance products, pensions and annuity contracts. It will add time and cost. Complying with FATCA requirements is likely to increase the time required for investment managers to onboard a new client; currently this often takes 30 to 60 days. Rules-based technology combined 2 with FATCA expertise can significantly reduce costs and time to revenue while streamlining operations. It may overlap with current compliance requirements. In some cases, the U.S. Treasury will allow participating foreign financial institutions to rely on existing AML and KYC programs, allowing FATCA compliance to fit under the same protocols as existing regulatory requirements. By leveraging existing 3 KYC data and systems for pre-existing account due diligence, financial institutions can automate exemptions to automate FATCA due diligence and classification to gain efficiency and achieve cost savings, without negatively impacting the customer experience. 4 It requires technology. Using a technology approach is the best way to reduce costs and ensure compliance, and you may be able to use existing data captured for AML and KYC regulations. 5 You ll need experienced legal advice. Each company will need to understand local, regional and cross-border issues and risks before planning and building a FATCA compliance program.

Capgemini + Pegasystems + DLA Piper Bringing together the right experience and technology to address and automate your global FATCA compliance Our comprehensive offering includes three primary elements. To create a unique, endto-end solution for FATCA compliance, Capgemini has partnered with DLA Piper, a premier global business law firm with more than 4,200 lawyers in over 30 countries, and Pegasystems, the recognized leader in business process management. Together, we can design, implement and assist you to sustain an end-toend compliance solution that addresses business, legal and IT requirements for FATCA. Legal Advisory Services from DLA Piper DLA Piper will review client businesses, products, customers and geographies and advise on an FFI s FATCA obligations under the unilateral regulatory approach and the bilateral IGA approach. Since each company has uniquely different issues when considering FATCA compliance and implementation, you may require advice on local and cross-border law conflicts with FATCA and assistance with reputational risk and contract matters. In addition to legal advisory services, DLA Piper can also add customized legal advice to Pegasystems Know Your Customer (KYC) solution. Know Your Customer (KYC) Technology from Pegasystems Our solution utilizes Pegasystems KYC technology that includes: Core FATCA functionality including pre-existing account due diligence management and automation; New account rules and recordkeeping requirements; Periodic updates based on change of circumstances and annual requirements; Automated indicia identification; Ability to apply the right FATCA rule set based on product, line of business, and geography; and Straight through processing based on exemption criteria. Integration and Configuration services from Capgemini Capgemini bridges the gap between defined business and legal requirements and technology. With our unique understanding of regulatory requirements and technologies that drive financial institutions, Capgemini works with Pegasystems to coordinate and configure client system interfaces into Pega s KYC solution. Together, we create proprietary IP on top of Pega s customizable KYC software that supports client-by-client compliance. We focus on guiding financial institutions through the process of becoming FATCA compliant through the development of a risk- based program that leverages your existing KYC program; improves and aligns your IT and legal capabilities specifically to meet new FATCA requirements; and builds efficiency into the process.

Risk the way we do it Putting It All Together Since every organization will have different requirements for diligence, processes and exemptions, Capgemini and DLA Piper will identify product, country and line of business-specific needs and add these to the Pega KYC and FATCA technology. The powerful combination of leading FATCA legal, business and IT knowledge built on Agile technology ensures accurate compliance controls, costs savings today, and flexibility for tomorrow. Our collaborative team can provide: A legally privileged and confidential review and testing of your institution s compliance with AML, KYC, disaster recovery, data management, records retention and other pre-existing regulatory requirements; Outsourced due diligence including enhanced due diligence requirements and training assistance; On-boarding procedures for new clients to ensure that necessary data is collected and retained to identify and categorize U.S. and non-u.s. account holders for purposes of FATCA; Drafting of terms and conditions including provisions to allow for: Collection, use and transmission of relevant data to the IRS or local tax authority; Data collection and reporting of recalcitrant and non-participating FFI account holders and tax withholding (if/when required); Closure of accounts or termination of policies in the event of customer non-compliance; Limit or exclude liability; and Representations, warranties and covenants related to FATCA liability in transactional documents. Communications with the company s board of directors, the IRS, local revenue authorities and customers; and Development and maintenance of global and local, consistent compliance procedures and training programs. Our end-to-end Solution and Services Legal Advice Know Your Services & Customer + Integration + Solution = End-to-end FATCA compliance

Capgemini s FATCA Compliance Offerings Compliance Department Support Effectively mitigate compliance risk by leveraging a unified process that provides scalability and sustainability. Capgemini can provide compliance support near shore or offshore using our Rightshore model which puts the right people with the right skills in the right place. Capgemini provides subject matter expertise and advisory services to support compliance functions for domestic and global financial institutions. We help financial services firms address Know Your Customer (KYC) requirements including customer due diligence, FATCA and anti-money laundering compliance requirements. System Implementation As financial institutions are rapidly upgrading to new FATCA compliant KYC systems, Capgemini can help plan and execute upgrades from first generation systems. System Integration To enable FATCA compliance, financial services institutions must integrate legacy IT corporate information factory (CIF) and customer data and banking systems to normalize data and create a multi-use centralized data repository. This lets you turn data into knowledge. Independent Verification and Validation Regulators are increasingly questioning whether financial institutions are validating the compliance solutions they have implemented and whether the rationality in the decision process is adequately documented. Capgemini can help validate and document your risk solutions by performing verifications such as process reviews or mapping. Change Management Control Process Capgemini can review and develop change management policies and procedures and compliance program maintenance processes using industry best practices. Analytics Data analytics and metrics generated from the KYC process can be significantly tuned through efficiency exercises and business intelligence efforts to better support the compliance function. Remediation For regulatory and non-regulatory driven remediation, Capgemini can help you gather, review and provide quality control for KYC related information over a defined timeframe often several years prior to ensure compliance with regulatory requirements and quality of data.

Risk the way we do it Comprehensive Coverage Capgemini provides multi- disciplinary AML/KYC and FATCA compliance expertise with IT-based implementation and integration focus designed to deliver proven compliance solutions to organizations globally. Our end-to-end program helps financial services institutions: Assess the FATCA impact and compliance across the enterprise Review and assess FATCA impact and compliance risk Design and develop a FATCA compliance program Extract and review customer data Implement Pegasystems software Plan governance and change implementation Establish KYC and due diligence remediation efforts Support tax reporting Gain legal advice and compliance support

Risk the way we do it For more information, contact us at: riskmgmt@capgemini.com or visit: www.capgemini.com/risk. About Pegasystems Pegasystems revolutionizes how leading organizations optimize customer experience and automate operations. Our patented Build for Change technology empowers business people to create and evolve their critical business systems. Pegasystems is the recognized leader in business process management and is also ranked as a leader in customer relationship management software by leading industry analysts. For more information, visit us at www.pega.com. About DLA Piper In the U.S., DLA Piper represents many of the world s leading companies across industries, as well as financial institutions, emerging businesses and professional firms. We offer legal counsel on a wide range of issues in every major business, financial and technology center in the U.S., where our lawyers have both local and national experience. Globally, we have 4,200 lawyers in over 30 countries, enabling us to offer our clients comprehensive crossborder counsel wherever they need us. Our client commitment is also our brand - everything matters when it comes to the way we serve and interact with our clients. For additional information, go to www.dlapiper.com. About Capgemini With almost 145,000 people in over 40 countries, Capgemini is one of the world s foremost providers of consulting, technology and outsourcing services. The Group reported 2014 global revenues of EUR 10.573 billion. Together with its clients, Capgemini creates and delivers business and technology solutions that fit their needs and drive the results they want. A deeply multicultural organization, Capgemini has developed its own way of working, the Collaborative Business Experience, and draws on Rightshore, its worldwide delivery model. Learn more about us at www.capgemini.com All products or company names mentioned in this document are trademarks or registered trademarks of their respective owners. FS201504230346CS The information contained in this document is proprietary. 2015 Capgemini. All rights reserved. Rightshore is a trademark belonging to Capgemini.