Final FATCA regulations are out

International Tax Review is part of Legal Benchmarking Limited, 4 Bouverie Street, London, EC4Y 8AX

Copyright © Legal Benchmarking Limited and its affiliated companies 2025

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

Final FATCA regulations are out

fotoflexer-photofatca.jpg

The US Treasury and IRS have published 544 pages of final regulations about how the controversial information reporting legislation should work.

The final regulations for the implementation of the Foreign Account Tax Compliance Act  cover the US account identification, information reporting and withholding requirements to avoid being liable for a 30% withholding tax on payments to foreign financial institutions (FFIs) with US account holders and certain non-financial foreign entities (NFFE) with substantial US owners. 

"These regulations give the Administration a powerful set of tools to combat offshore tax evasion effectively and efficiently," said Neal Wolin, Deputy Secretary of the Treasury. "The final rules mark a critical milestone in international cooperation on these issues, and they provide important clarity for foreign and US financial institutions."

The Treasury and IRS said that the final regulations:

  • build on intergovernmental agreements that foster international cooperation;

  • phase in the timelines for due diligence, reporting and withholding and align them with the intergovernmental agreements;

  • expand and clarify the scope of payments not subject to withholding;

  • refine and clarify the treatment of investment entities; and

  • clarify the compliance and verification obligations of FFIs

Norway has become the latest jurisdiction, after the UK, Mexico, Denmark, Ireland, Switzerland, and Spain, to signed or initial an intergovernmental agreement with the US.

FATCA was passed in March 2010 as part of the Hiring Incentives to Restore Employment Act.  Proposed regulations arrived in February last year. In October, Announcement 2012-42, from the Treasury and IRS, made clear the intention to amend some provisions in the final regulations.

The final regulations were due out before the end of 2012. Critics of the legislation, because of the compliance burden it places on FFIs, hoped the delay meant that  the US would decide that it was impossible to implement and would abandon it. However, now that the official publication of the final regulations is imminent, that prospect has all but ended.

Compliance mechanics

Compliance with FATCA will take place through an online portal, which will be available from July 15 this year. Each FFI will use a GIIN (Global Intermediary Identification Number) to establish its FATCA status for withholding and to identify it for reporting purposes.

more across site & shared bottom lb ros

More from across our site

Following his Liberal Party’s election victory, one source expects Mark Carney to follow the international consensus on pillar two, as experts assess the new administration
A German economics professor was reportedly ‘irritated’ by how the Finnish ministry of finance used his data
Countries that care about the fair taxation of tech multinationals and equitable global distribution of wealth should back the UN’s tax framework, writes economist Abdelmalek Riad
The cuts disproportionately affected staff in certain positions, the report also found; in other news, MHA announced the €24m acquisition of Baker Tilly South East Europe
The plan aims to improve the efficiency, transparency, and effectiveness of direct tax administration in India
Meanwhile, South Africa’s finance minister has accepted a court decision on suspending a VAT increase and US President Donald Trump mulls a 100% tariff on foreign films
Jaime Carey speaks about the benefits of his tax background, DEI values, the use of AI for a smarter legal practice, and other priorities that will define his presidency
Historically low levels of attrition over consecutive years made a ‘difficult decision’ necessary, PwC has reportedly said
WTS Global is also vetting new potential member firms in Algeria, Cote D’Ivoire and Benin, Kelly Mgbor tells ITR in an exclusive interview
The scope of qualifying pillar two tax credits could reportedly be broadened; in other news, hundreds of IRS appeals staff are to resign
Gift this article