{"id":1332,"date":"2015-07-09T14:27:34","date_gmt":"2015-07-09T19:27:34","guid":{"rendered":"http:\/\/www.patellawoffices.com\/blog\/?p=1227"},"modified":"2015-07-09T14:27:34","modified_gmt":"2015-07-09T19:27:34","slug":"india-and-us-signed-fatca-agreement-today-2","status":"publish","type":"post","link":"https:\/\/patellawoffices.com\/blog\/planning-for-tax-minimization\/india-and-us-signed-fatca-agreement-today-2\/","title":{"rendered":"India and US signed FATCA Agreement Today"},"content":{"rendered":"<p>India and the US today signed an agreement to implement the Foreign Account Tax Compliance Act (FATCA) that will facilitate exchange of information between the two countries starting on October 1, 2015.<\/p>\n<p>FATCA was signed by Revenue Secretary Shaktikanta Das and US Ambassador Richard Verma in New Delhi. &#8220;FATCA is a mutual effort to combat tax evasion and it would be mutually beneficial for both the countries. FATCA would detect, discourage offshore tax evasion. This kind of exchange of information is top priority for governments&#8221;, Ambassador Verma said.<\/p>\n<p>Under the inter-governmental agreement, Indian financial institutions would have to reveal information about US tax payers to the revenue department which would be passed on to the US tax authorities. Under the pact, US will also share with India financial information. The current reporting period beginning October 1 would be for July-December 2014. If a financial institution does not comply to FATCA, it will have to pay 30 per cent penalty tax on all its US revenues, including dividend, interest, fees and sales.<\/p>\n<p>The initiative, the US Ambassador said, marked a significant improvement in mutual cooperation to combat offshore tax evasion and will benefit both the countries. &#8220;I am confident working together we can detect, deter and discourage offshore tax evasion, increase transparency and create stronger global financial system&#8221;, Verma said.<\/p>\n<p>The US has signed IGAs with more than 110 jurisdictions and is engaged in related discussions with many other nations. America had enacted FATCA in 2010 to obtain information on accounts held by US taxpayers in other countries. It requires US financial institutions to withhold a portion of payments made to foreign financial institutions (FFIs) who do not agree to identify and report information on US account holders. As per the IGA, FFIs in India will be required to report tax information about US account holders directly to the Indian government which will, in turn, relay that information to the IRS.<\/p>\n<p>Which Banks are Reporting?<\/p>\n<p>Many Indian financial institutions have already registered on the IRS\u2019s\u00a0<a href=\"http:\/\/www.patellawoffices.com\/blog\/tag\/fatca\/\">FATCA<\/a>\u00a0Registration Portal. The IRS has published a searchable list of financial institutions. The\u00a0<a href=\"http:\/\/www.irs.gov\/Businesses\/Corporations\/FATCA-Foreign-Financial-Institution-List-Search-and-Download-Tool\">FFI List Search and Download Tool<\/a>\u00a0is located on the IRS\u2019s\u00a0<a href=\"http:\/\/www.irs.gov\/Businesses\/Corporations\/Foreign-Account-Tax-Compliance-Act-FATCA\">FATCA website<\/a>. The tool can be used to search for the name of a specific foreign financial institution and find out if it has registered under\u00a0<a href=\"http:\/\/www.patellawoffices.com\/blog\/tag\/fatca\/\">FATCA<\/a>. As of today, over 714 financial institutions in India have registered with the IRS.\u00a0 Users can also download an entire list of financial institutions with the tool. See the\u00a0<a href=\"http:\/\/www.irs.gov\/Businesses\/Corporations\/FATCA-Foreign-Financial-Institution-List-Search-and-Download-Tool\">FFI List Search and Download Tool<\/a>\u00a0and\u00a0<a href=\"http:\/\/www.irs.gov\/file_source\/pub\/irs-pdf\/p5147.pdf\">User Guide<\/a>. Countries complying with<a href=\"http:\/\/www.patellawoffices.com\/blog\/tag\/fatca\/\">FATCA<\/a>\u00a0can be found at\u00a0<a href=\"https:\/\/www.google.com\/url?sa=t&amp;rct=j&amp;q=&amp;esrc=s&amp;source=web&amp;cd=3&amp;cad=rja&amp;uact=8&amp;ved=0CEcQFjAC&amp;url=http%3A%2F%2Fwww.treasury.gov%2Fresource-center%2Ftax-policy%2Ftreaties%2Fpages%2Ffatca-archive.aspx&amp;ei=WMBpU5ncNcql8QHzuoAQ&amp;usg=AFQjCNGf9MTfsuJ7DwgjNdbYrwZidIyoMw&amp;sig2=Z9WVYlcVYGCg5dfZVsjG8A\">FATCA\u00a0\u2013 Archive<\/a>.<\/p>\n<p>Who is Reported?<\/p>\n<p>Financial institutions in India will carry out a detailed due diligence on all their clients and report details of their U.S. clients to the Internal Revenue Service.\u00a0 U.S. persons for tax purposes are generally considered as:<\/p>\n<ul>\n<li>A citizen of the U.S. (including an individual born in the U.S. but resident in another country, who has not renounced U.S. citizenship);<\/li>\n<li>A lawful resident of the U.S. (including any U.S. green card holder);<\/li>\n<li>Most U.S. visa holders (including H-1 and L-1 visa holders);<\/li>\n<li>A person residing in the U.S.<\/li>\n<li>Somebody who has spent considerable period of time in the U.S.<\/li>\n<li>American corporations, estates and trusts may also be considered U.S. persons<\/li>\n<\/ul>\n<p>Which Accounts?<\/p>\n<p>Indian financial institutions need to report certain accounts to the IRS under\u00a0<a href=\"http:\/\/www.patellawoffices.com\/blog\/tag\/fatca\/\">FATCA<\/a>. The need for identifying U.S. person(s) arises from the fact that money invested in India needs to be reported to IRS in the U.S. \u00a0While the threshold limit for reporting will be specified by the regulators in India based on\u00a0<a href=\"http:\/\/www.patellawoffices.com\/blog\/tag\/fatca\/\">FATCA<\/a>\u00a0regulations, institutions will have reporting requirements under FATCA, in terms of threshold limits. Most NRI, NRE, and NRO accounts will be reported.<\/p>\n<p>While the IRS has recently targeted Swiss, Israeli and Indian banks, India continues to be a focal point for the U.S. \u00a0government.\u00a0While new criminal prosecutions start and continue, our law firm expects unabated aggressive enforcement of the U.S. tax laws, including increased criminal prosecutions and civil\u00a0investigations. We have been advising our clients to expect the unexpected (and the worst) in their tax treatment and disclosure of\u00a0<a href=\"http:\/\/www.patellawoffices.com\/blog\/tag\/offshore\/\">offshore<\/a>\u00a0assets, particularly for Indian assets.<\/p>\n<p>Patel Law Offices has consulted with hundreds of clients regarding their\u00a0<a href=\"http:\/\/www.patellawoffices.com\/blog\/tag\/offshore\/\">offshore<\/a>\u00a0asset compliance issues. Patel Law Offices is a law firm dedicated to helping clients resolve complicated tax, criminal tax, and international tax problems. Our firm assists (and defends) clients and their advisors to legally disclose (and legitimize) foreign accounts.<\/p>\n","protected":false},"excerpt":{"rendered":"<p>India and the US today signed an agreement to implement the Foreign Account Tax Compliance Act (FATCA) that will facilitate exchange of information between the two countries starting on October 1, 2015. FATCA was signed by Revenue Secretary Shaktikanta Das and US Ambassador Richard Verma in New Delhi. &#8220;FATCA is a mutual effort to combat [&hellip;]<\/p>\n","protected":false},"author":1,"featured_media":0,"comment_status":"open","ping_status":"open","sticky":false,"template":"","format":"standard","meta":{"_daextam_enable_autolinks":"","_monsterinsights_skip_tracking":false,"_monsterinsights_sitenote_active":false,"_monsterinsights_sitenote_note":"","_monsterinsights_sitenote_category":0,"footnotes":""},"categories":[1],"tags":[19,20,90,23,24,55,68,25],"class_list":["post-1332","post","type-post","status-publish","format-standard","hentry","category-planning-for-tax-minimization","tag-amnesty","tag-asset-protection","tag-fatca","tag-fbar","tag-foreign-account","tag-hsbc","tag-ovdp","tag-penalties-and-interest"],"_links":{"self":[{"href":"https:\/\/patellawoffices.com\/blog\/wp-json\/wp\/v2\/posts\/1332","targetHints":{"allow":["GET"]}}],"collection":[{"href":"https:\/\/patellawoffices.com\/blog\/wp-json\/wp\/v2\/posts"}],"about":[{"href":"https:\/\/patellawoffices.com\/blog\/wp-json\/wp\/v2\/types\/post"}],"author":[{"embeddable":true,"href":"https:\/\/patellawoffices.com\/blog\/wp-json\/wp\/v2\/users\/1"}],"replies":[{"embeddable":true,"href":"https:\/\/patellawoffices.com\/blog\/wp-json\/wp\/v2\/comments?post=1332"}],"version-history":[{"count":0,"href":"https:\/\/patellawoffices.com\/blog\/wp-json\/wp\/v2\/posts\/1332\/revisions"}],"wp:attachment":[{"href":"https:\/\/patellawoffices.com\/blog\/wp-json\/wp\/v2\/media?parent=1332"}],"wp:term":[{"taxonomy":"category","embeddable":true,"href":"https:\/\/patellawoffices.com\/blog\/wp-json\/wp\/v2\/categories?post=1332"},{"taxonomy":"post_tag","embeddable":true,"href":"https:\/\/patellawoffices.com\/blog\/wp-json\/wp\/v2\/tags?post=1332"}],"curies":[{"name":"wp","href":"https:\/\/api.w.org\/{rel}","templated":true}]}}