Black out FATCA in WPT

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Aug 6th, 2022
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How to black out FATCA in WPT

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Itamp;#39;s a bit different first because the AEOI has been organized and worked on by OECD whereas FATCA comes from the US government The major point to keep in mind is that FATCA is based on a (US) citizenship criterion and the AEOI is basically focused on Tax Residence Criteria On the contrary to FATCA rules there is no withholding Tax, nor PPP Thereamp;#39;s sometimes a confusion because AEOI is coming right after FATCA just to remind you FATCA came into force on the first of July 2014 and the AEOI was published on the twenty first of July 2014 by OECD AEOI is an International Agreement which aims at preventing TAX AVOIDANCE on a world scale Up to now 98 countries signed this Agreement of which more than fifty countries called early adopters commited themselves to sending their first Reporting to their local Tax Authority by March 2017 The second one is the Reporting of Clients accounts and information It will come into force on the first of January 2016 On that day, all Financi

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The consequences of being non-compliant may include the revocation of an entitys FATCA status and, ultimately, the entitys GIIN being removed from the FFI list.
(2020), evading taxpayers can circumvent FATCA requirements by moving their hidden assets to non-FATCA signing countries. Here, we provide evidence for whether US banks facilitate this deposit shifting.
You will generally be exempt from FATCA Registration and withholding if you meet the requirements to be treated as an exempt beneficial owner (e.g. as a foreign central bank of issue described in Treas. Reg. 1.1471-6(d), as a controlled entity of a foreign government under Treas. Reg.
Civil violations of FATCA carry a $10,000 civil monetary penalty (CMP), with an additional $10,000 CMP applied every 30 days following the receipt of a notice of noncompliance from the IRSsubject to a maximum aggregate penalty of $60,000 per violation.
The penalty for non-willful nondisclosure of specified foreign financial assets under FATCA is $10,000 per year for every year of nondisclosure up to the six-year limit.
If a customer doesnt provide required information, the Bank is required to classify such a customer as an uncooperative account holder and apply 30% withholding tax on certain US-source payments coming into the uncooperative customers account.
Failure to report foreign financial assets on Form 8938 may result in a penalty of $10,000 (and a penalty up to $50,000 for continued failure after IRS notification).

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