IRS Publishes new Method for Non-Foreign Financial Entities to Comply with FATCA

On October 29, the IRS published Notice 2013-69 (the Notice) which provides guidance to Foreign Financial Institutions (FFI’s) seeking to enter into FFI Agreements with the Internal Revenue Service (IRS) to comply with their Foreign Account Tax Compliance Act (FATCA) obligations. While the majority of the Notice is dedicated to providing a draft FFI Agreement,…

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Accidental Americans and US Tax Compliance: A Discussion with the IRS

Flott & Co. recently had the opportunity to discuss our proposal for changes to the existing IRS “noisy” disclosure programs (Offshore Voluntary Disclosure Program – OVDP – and the Streamlined Filing Compliance Procedure for Non-Resident US Taxpayers – Streamlined Process) with representatives of the Service.  The discussion focused on encouraging the IRS to create a…

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FATCA: final regulations clarify the definition of depository accounts

The Foreign Account Tax Compliance Act (FATCA) requires foreign financial institutions and US persons who hold certain foreign accounts to report these accounts to the US. One of the most common types of account that must reported is the depository account. However, the definition of depository account changed significantly from the proposed regulations to the final regulations.

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Defining Intellectual and Intangible Property

Before delving headfirst into the taxation of intellectual property, it is important to understand what constitutes intellectual property and how it relates to intangible property. Intangible property is any property that has no physical substance, and intellectual property is intangible property created by individual(s). While these terms are often used interchangeably, some types of intangible…

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The Department of Treasury and the Internal Revenue Service issue Final FATCA Regulations

On January 17, 2013, the Department of Treasury and the Internal Revenue Service (IRS) announced the release of the final FATCA regulations (Regulations). The Regulations become effective on January 28, 2013, and diverge significantly from the current temporary regulations. While there are numerous changes in the Regulations, we highlight just some of the significant changes:…

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FATCA Timeline Guide

The Foreign Account Tax Compliance Act (FATCA) and its subsequent regulations have created a dizzying array of implementation deadlines for taxpayers, financial institutions, and withholding agents. The accompanying chart organizes the key dates related to FATCA implementation. Please note that because of the complexity of FATCA it was not practical to include all implementation dates…

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FinCen further delays FBAR filing requirement for certain accounts

After publishing final rules regarding people reporting their signature authority over foreign financial accounts, the Financial Crimes Enforcement Network (FinCen) received questions and comments about reporting for certain types of accounts. In response FinCen delayed the reporting requirement for individuals with signature authority over these types of accounts until June 30, 2012.  The most problematic…

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