Fix FATCA in rtf

Aug 6th, 2022
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How to fix FATCA in rtf

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hey Anthony hey Claudine weamp;#39;re continuing our FATCA series today weamp;#39;re talking about penalties weamp;#39;ve mentioned penalties a lot and they never want to get down until yeah and everything just gets better and better yes and that with that code now weamp;#39;re going to this is our capstone video we may add to it later as more wonderful things happen yes because what weamp;#39;re talking about today is penalties for individuals we started to investigate penalties for foreign financial institutions and it was sort of like going into a rabbit hole mm-hmm so weamp;#39;re gonna do a little more investigation and then talk about that and also the impact weamp;#39;re gonna try to do a video with both of them theyamp;#39;re like oh god no thereamp;#39;s much too much so FATCA individual penalties and weamp;#39;re talking specifically today about form 8938 there are other forms we know thereamp;#39;s f bars form 54 71 thereamp;#39;s separate penalties for every for

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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.
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.
Under FATCA, to avoid being withheld upon, FFIs that are not subject to an exemption from the registration requirement must register with the IRS and agree to report to the IRS certain information about their U.S. accounts, including accounts of certain foreign entities with substantial U.S. owners.
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.
Civil Penalties for Failure to File FBAR If you committed a non-willful violation which was not due to any reasonable cause, you may face a civil penalty of up to $10,000 per violation.
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.
You can update and resubmit your registration application anytime by logging into your FATCA account and selecting Registration Edit/Complete/Submit under the Available Account Options on your account home page.
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.

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