US draws Switzerland and Japan into FATCA net

International Tax Review is part of Legal Benchmarking Limited, 1-2 Paris Garden, London, SE1 8ND

Copyright © Legal Benchmarking Limited and its affiliated companies 2026

Accessibility | Terms of Use | Privacy Policy | Modern Slavery Statement

US draws Switzerland and Japan into FATCA net

fotoflexer-photogeithnersmall.jpg

The US has added Japan and Switzerland, two key centres of international finance, to the number of countries that have agreed to pursue a bilateral agreement to implement the Foreign Account Tax Compliance Act.

fotoflexer-photofatca.jpg

However, the agreements envisaged differ from those the US is pursuing with other jurisdictions because of how any information will be reported.

A joint statement from the US and five European jurisdictions in February referred to a model bilateral agreement that would see foreign financial institutions (FFI), the main targets for FATCA compliance, reporting to their national tax authorities for onward transmission to the Internal Revenue Service (IRS).

But the agreements with Japan and Switzerland, which the US Treasury is describing as Model II, would allow for direct reporting by FFIs to the US tax authorities and additional reporting under the bilateral tax treaties that each jurisdiction has with the US.

"The core element of the solution is that the necessary exchange of data will be made directly with the US tax authorities and not, as in the implementation solution for the five big European countries, by means of centralized data gathering," said a statement from the Swiss Bankers' Association (SBA). "This better takes into account the particular characteristics of the Swiss financial centre."

"These developments act as further proof that FATCA is really going to happen within the next 12 months," said Jim McGivern, a senior business consultant with AutoRek, which provides financial data management software. "More worryingly, the latest advances seem to indicate that many countries will now consider implementing their own version of FATCA in the near future."

Framework

The Switzerland and Japan agreements are similar but not identical. The frameworks will see the jurisdictions commit to a number of conditions to ease the burden of FATCA compliance and eliminate circumstances where withholding tax is due.

The two jurisdictions will direct their financial institutions not exempt or deemed compliant under the legislation already to conclude a foreign financial institution (FFI) agreement with the US. Switzerland will also establish an exception to article 271 of the Swiss Criminal Code so that Swiss FFIs can comply with FATCA, particularly where it requires the reporting of information about US accounts to the IRS and respond. And both jurisdictions will respond to requests for information from the US competent authority about any US accounts deemed to be recalcitrant according to, for Switzerland, the protocol to the tax treaty it signed with the US in 2009 and, for Japan, its tax treaty with the US, which dates from 2003.

fotoflexer-photoswissbanking.jpg

"Also positive are the possibility of simplified client identification and the preservation of QI-status for financial institutions considered as deemed compliant," the SBA said.  

And Japan and Switzerland would not have to close the account of a recalcitrant account holder or impose withholding tax on a foreign passthru payment to recalcitrant account holders, or other financial institutions in each country or other jurisdictions with which the US has an agreement to implement FATCA.

In return, the US said it will specify in the forthcoming agreement which Swiss and Japanese financial institutions and schemes are exempt or deemed compliant under FATCA; remove the US withholding tax requirement under FATCA on payments to the financial institutions of both countries and agree to other measures that will relieve the burden of complying with FATCA.

Article 271 of the Swiss Criminal Code refers to any person carrying out unlawful activities, such as passing on information, on behalf of a foreign government.

"Switzerland's refusal to implement FATCA would cause major disadvantages for the financial centre," a Swiss government statement said. "The prohibitive withholding tax of 30% on all payments from the United States and the likely consequence that foreign financial institutions would terminate their business relationships with Swiss financial institutions in the medium term would result in exclusion from the world's largest capital market."

Automatic exchange

However, that is where Switzerland appears to draw the line on international cooperation.

treasury.jpg

The Treasury statement announcing the Japanese agreement outlined that both jurisdictions would be willing to work with FATCA partners and the OECD on coming up with a common model for automatic exchange of information, particularly the development of reporting and due diligence standards that would lower compliance costs for financial institutions and others.

“We welcome Japan’s willingness to intensify our cooperation in combating international tax evasion and look forward to continuing to work with Japan and other countries to make progress in this regard,” said Emily McMahon, the US’s acting assistant secretary for tax policy.

While McMahon used similar words to welcome the prospect of an agreement with Switzerland, there was no evidence in the joint statement between the two countries that Switzerland, unlike Japan, is prepared to join discussions on automatic exchange of information.

more across site & shared bottom lb ros

More from across our site

If Trump continues to poke the world’s ‘middle powers’ with a stick, he shouldn’t be surprised when they retaliate
The Netherlands-based bank was described as an ‘exemplar of total transparency’; in other news, Kirkland & Ellis made a senior tax hire in Dallas
Zion Adeoye, a tax specialist, had been suspended from the African law firm since October over misconduct allegations
The deal establishes Ryan’s property tax presence in Scotland and expands its ability to serve clients with complex commercial property portfolios across the UK, the firm said
Trump announced he will cut tariffs after India agreed to stop buying Russian oil; in other news, more than 300 delegates gathered at the OECD to discuss VAT fraud prevention
Taxpayers should support the MAP process by sharing accurate information early on and maintaining open communication with the competent authorities, the OECD also said
The Fortune 150 energy multinational is among more than 12 companies participating in the initiative, which ‘helps tax teams put generative AI to work’
The ruling excludes vacation and business development days from service PE calculations and confirms virtual services from abroad don’t count, potentially reshaping compliance for multinationals
User-friendly digital tax filing systems, transformative AI deployment, and the continued proliferation of DSTs will define 2026, writes Ascoria’s Neil Kelley
Case workers are ‘still not great’ but are making fewer enquiries, making the right decision more often and are more open to calls, ITR has heard
Gift this article