Conceal FATCA in binary

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Aug 6th, 2022
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How to conceal FATCA in binary

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good afternoon this is sean golding with goldie and golding here to discuss the basics of what is fatca what is the foreign account tax compliance act why do you care and how do you comply right like a fatca foreign account tax compliance act uh for u.s person this presentation is focused toward uh individuals uh u.s entities trusted in states that have to report not foreign financial institutions that have their own requirement from a tax perspective fact it came into effect in 2011 on the tax return whereas us persons have to include form 8938 if they meet the threshold requirements for reporting itamp;#39;s used to report specified foreign financial assets itamp;#39;s different than the f bar the f bar is another acronym thrown around on all foreign bank and financial account reporting the fbar is covered under title 31 which is money in finance not 26 which is the internal revenue code an important aspect of that is that when youamp;#39;re filing the uh the f bar youamp;#39;re

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Willful Failure to File a Tax Return (26 U.S.C. Section 7203) Up to a $25,000 fine for individuals and one year of imprisonment. Filing a False Tax Return (26 U.S.C. Section 7206) Up to a $100,000 fine for individuals and three years of imprisonment.
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).
FATCA requires certain U.S. taxpayers who hold foreign financial assets with an aggregate value of more than the reporting threshold (at least $50,000) to report information about those assets on Form 8938, which must be attached to the taxpayers annual income tax return.
Exceptions to the FATCA reporting requirements A financial account maintained by a US payor which includes: a US branch of an FFI; a foreign branch of a US financial institution; Beneficial Interest in a foreign trust or a foreign estate; Foreign government-sponsored social security or similar programs.
Implications for Foreign Financial Institutions They must invest in systems and procedures to identify and report U.S. account holders accurately. Failure to comply with FATCA can lead to a 30% withholding tax on certain U.S. source payments made to the non-compliant institution.
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.
Here are four additional FATCA loopholes for you. Have your foreign real estate titled in your own name: From a U.S. tax perspective, this is the simplest way to own foreign property. Directly hold foreign currency: Directly hold precious metals: Your offshore account is in a foreign branch of a U.S. institution:
The IRS can impose a $10,000 failure to file penalty, an additional penalty of up to $50,000 if the guilty party continues to not file after notification by the IRS, and a 40% penalty for understating taxes attributable to non-disclosed assets.

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