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FATCA and Citizen-based Taxation:
the way forward
American Citizens Abroad
12 June 2013
www.americansabroad.org
March 10, 2010
• Foreign Account Tax Compliance Act
(FATCA) enacted into law
• Directed at tax cheats using foreign banks
to hide assets
• Congress delegated authority to craft
regulations to Department of the
Treasury
US Plays Hardball
• Ignores privacy laws of other countries
• One way flow of information to US
• Violates bilateral tax treaties
• Threat of 30% withholding tax on US source
income AND on sale proceeds of US assets
• FFIs required to withhold tax on passthru
payments to non-participating institutions
Intergovernmental Agreements (IGAs)
Model 1 (July 2012)
 Due diligence less onerous
 Withholding tax eliminated
 Passthru requirement eliminated
 Report via governments
 Reciprocity
Reciprocity
Model 1 IGA include a provision in which:
the government of the United States acknowledges
the need to achieve equivalent levels of reciprocal
automatic information exchange . . . [and] is
committed to . . . pursuing the adoption of
regulations and advocating and supporting relevant
legislation to achieve such equivalent levels of
reciprocal automatic exchange.
www.americansabroad.org
January 2013 : Final FATCA regs.
• Promulgated by US Treasury
• Nearly 3 years after passage of FATCA
• Only 11 months prior to FATCA fully
entering into force on January 1, 2014
February 2014 : Model 2 IGA
Announced by Switzerland and US
 Due diligence less onerous
 Withholding tax eliminated
 Passthru requirement eliminated
 Report directly to IRS
 FFIs must obtain written consent of clients
 Request for administrative assistance procedure for
recalcitrant clients
 No reciprocity – information flows only to US
Implementation - Reality
• Less than 7 months until implementation
• IRS favors IGAs, but few countries signed
to-date
• More reporting delays possible?
• Next 7 months will be full of surprises
Pandora’s Box
Will FATCA lead to worldwide
automatic exchange of
information
Wild Cards
• Can US provide reciprocity?
• Will Europe unite on issue?
• Will Europe be able to impose full
reciprocity on US?
• Complexity of implementation
• Will parliaments worldwide enact laws
necessary to implement respective IGAs?
AEI = Complexityn*m
U.K. France
Italy
GermanyIreland
Holland
Spain
One More Wild Card
• Senator Rand Paul’s bill (S. 877) which would
repeal:
– FATCA reporting requirements that infringe on
privacy of American citizens
– 30% withholding penalties
Impact on Americans Abroad
• Dramatic – renunciation, divorce, relocation…
• Treated as criminals - guilty until proven
innocent
• Financial pariahs:
 Bank accounts closed
 Insurance policies refused
 Job opportunities lost
 Investment opportunities shut off
The Solution:
Residence Based Taxation (RBT)
• FATCA impacts Americans abroad because
of US citizenship-based taxation
• Solve all problems not only with FATCA, but:
– Report of Foreign Bank and Financial Accounts
(FBAR)
– Double tax reporting
– Double taxation
– Taxation of fictive capital gains
– Taxation of retirement savings, and more
RBT = Win-Win
Will bring in as much, if not more, tax
revenue to US
Automatic tax collection with minimum
administrative cost
Americans abroad, and consequently US, will
be more competitive
US companies will be able to transfer
Americans abroad to promote US exports
RBT is on the Table
• House Ways and Means Committee and
Senate Finance Committee are fully
aware of ACA’s RBT proposal
• Chairmen Camp (in the House) and
Baucus (in the Senate) are committed to
getting tax reform done
Engage
• Visit taxreform.gov
– Latest info on tax reform in US
– Share your story or ideas
• Support RBT - ACA’s proposal is available at:
www.americansabroad.org
• Spread the word

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FATCA and Citizen-based Taxation: the way forward

  • 1. FATCA and Citizen-based Taxation: the way forward American Citizens Abroad 12 June 2013 www.americansabroad.org
  • 2. March 10, 2010 • Foreign Account Tax Compliance Act (FATCA) enacted into law • Directed at tax cheats using foreign banks to hide assets • Congress delegated authority to craft regulations to Department of the Treasury
  • 3. US Plays Hardball • Ignores privacy laws of other countries • One way flow of information to US • Violates bilateral tax treaties • Threat of 30% withholding tax on US source income AND on sale proceeds of US assets • FFIs required to withhold tax on passthru payments to non-participating institutions
  • 4. Intergovernmental Agreements (IGAs) Model 1 (July 2012)  Due diligence less onerous  Withholding tax eliminated  Passthru requirement eliminated  Report via governments  Reciprocity
  • 5. Reciprocity Model 1 IGA include a provision in which: the government of the United States acknowledges the need to achieve equivalent levels of reciprocal automatic information exchange . . . [and] is committed to . . . pursuing the adoption of regulations and advocating and supporting relevant legislation to achieve such equivalent levels of reciprocal automatic exchange. www.americansabroad.org
  • 6. January 2013 : Final FATCA regs. • Promulgated by US Treasury • Nearly 3 years after passage of FATCA • Only 11 months prior to FATCA fully entering into force on January 1, 2014
  • 7. February 2014 : Model 2 IGA Announced by Switzerland and US  Due diligence less onerous  Withholding tax eliminated  Passthru requirement eliminated  Report directly to IRS  FFIs must obtain written consent of clients  Request for administrative assistance procedure for recalcitrant clients  No reciprocity – information flows only to US
  • 8. Implementation - Reality • Less than 7 months until implementation • IRS favors IGAs, but few countries signed to-date • More reporting delays possible? • Next 7 months will be full of surprises
  • 9. Pandora’s Box Will FATCA lead to worldwide automatic exchange of information
  • 10. Wild Cards • Can US provide reciprocity? • Will Europe unite on issue? • Will Europe be able to impose full reciprocity on US? • Complexity of implementation • Will parliaments worldwide enact laws necessary to implement respective IGAs?
  • 11. AEI = Complexityn*m U.K. France Italy GermanyIreland Holland Spain
  • 12. One More Wild Card • Senator Rand Paul’s bill (S. 877) which would repeal: – FATCA reporting requirements that infringe on privacy of American citizens – 30% withholding penalties
  • 13. Impact on Americans Abroad • Dramatic – renunciation, divorce, relocation… • Treated as criminals - guilty until proven innocent • Financial pariahs:  Bank accounts closed  Insurance policies refused  Job opportunities lost  Investment opportunities shut off
  • 14. The Solution: Residence Based Taxation (RBT) • FATCA impacts Americans abroad because of US citizenship-based taxation • Solve all problems not only with FATCA, but: – Report of Foreign Bank and Financial Accounts (FBAR) – Double tax reporting – Double taxation – Taxation of fictive capital gains – Taxation of retirement savings, and more
  • 15. RBT = Win-Win Will bring in as much, if not more, tax revenue to US Automatic tax collection with minimum administrative cost Americans abroad, and consequently US, will be more competitive US companies will be able to transfer Americans abroad to promote US exports
  • 16. RBT is on the Table • House Ways and Means Committee and Senate Finance Committee are fully aware of ACA’s RBT proposal • Chairmen Camp (in the House) and Baucus (in the Senate) are committed to getting tax reform done
  • 17. Engage • Visit taxreform.gov – Latest info on tax reform in US – Share your story or ideas • Support RBT - ACA’s proposal is available at: www.americansabroad.org • Spread the word

Notas do Editor

  1. Model Intergovernmental Agreements (Model Agreements)Following the enactment of FATCA, Treasury published the Model Intergovernmental Agreement to Improve Tax Compliance and to Implement FATCA.http://www.treasury.gov/resource-center/tax-policy/treaties/Pages/FATCA.aspx
  2. April 10, 2013 : Accelerated pace Swiss Federal Government announces approval of Model II IGA, sent to parliament for enactment into lawLuxembourg renounces bank secrecy - will sign Model I IGA with US and initiate automatic reporting in 2015 with EU members President Obama’s 2014 Budget requests Congress to legislate to allow US reciprocityThis is a complete list of signed FATCA agreements between the United States and other countries:The following jurisdictions (9 as of Jun 12, 2013) are treated as having an intergovernmental agreement in effect:Model 1 IGADenmark (11-19-2012)Germany (5-31-2013)Ireland (1-23-2013)Mexico (11-19-2012)Norway (4-15-2013)Spain (5-14-2013)United Kingdom (9-12-2012) Singapore 5-14-2013 (committed to signing a Model 1 IGA by the end of 2013)Model 2 IGAJapan (6-11-2013)Switzerland (2-14-2013)http://www.treasury.gov/resource-center/tax-policy/treaties/Pages/FATCA-Archive.aspx
  3. May 28, 2013European Parliament Committee on Economic and Monetary Affairspublic hearing: “The Fight Against Tax Evasion – FATCA a step towards international automatic exchange of information?”Panel members from US Treasury, OECD, European Commission and European Banking Federation