US tax agency issues draft FATCA report form
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US tax agency issues draft FATCA report form 

By Sally P. Schreiber, J.D. 
August 15 2013
Topics: Tax

On Thursday, the US tax agency, the Internal Revenue Service (IRS), released a draft Form 8966, FATCA Report, which will be used by foreign financial institutions (FFIs) and withholding agents to comply with their FATCA reporting and withholding requirements.

Under the US Foreign Account Tax Compliance Act (FATCA), US withholding agents are required to withhold tax on certain payments to FFIs that do not agree to report certain information to the IRS regarding their US accounts and on certain payments to certain nonfinancial foreign entities (NFFEs) that do not provide information on their substantial US owners to withholding agents.

In the preamble to the FATCA final regulations (Treasury Decision 9610), the IRS stated that Form 8966 “will be used by FFIs (including QIs [qualified intermediaries], WPs [withholding foreign partnerships], WTs [withholding foreign trusts]) and withholding agents (in limited circumstances) to comply with their [FATCA] reporting obligations. This new Form 8966 will set forth all the information that must be reported with respect to financial accounts in accordance with these regulations.”

The draft form, which is just over a page long, contains sections for identifying the filer, the account holder or recipient, and US owners that are specified US persons, and for providing financial information, including account number and balance, and information for pooled reporting. The IRS has not yet posted draft instructions for the form.

The final regulations provided for a phased-in implementation of these withholding requirements beginning January 1st 2014. In July, the IRS postponed by six months the start of FATCA withholding (IRS Notice 2013-43). Withholding agents will be required to begin withholding on withholdable payments made after June 30th 2014, using Form 8966, to payees that are FFIs or NFFEs for obligations that are not grandfathered under the rules unless the payments can be reliably associated with documentation on which the withholding agent can rely to treat the payments as exempt from withholding.

Sally P. Schreiber (sschreiber@aicpa.org) is a CGMA Magazine senior editor.

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