Foreign Account Tax Compliance Act (FATCA) Definitions - Individuals | ||
U.S. Person | Means a U.S. citizen or resident individual, a partnership or corporation organized in the United States or under the laws of the United States or any State thereof. | |
US Resident | US resident is a US citizen or a resident alien, which is an individual that is not a citizen or national of the United States and who meets either the green card test or the substantial presence test for the calendar year. | |
Green Card | “green card” recipient as an alien who has been granted “the status of having been lawfully accorded the privilege of residing permanently in the United States as an immigrant in accordance with the immigration laws, such status not having changed.” | |
Born in the USA | A person born in the USA is considered as a 'US person' under FATCA unless the person has formally renounced his or her right to US citizenship. | |
Telephone Number | Telephone number(s) provided is a US telephone number. | |
Sanding Instructions | Standing instruction to periodically transfer funds to an account with US address. | |
Hold mail address | Address for communication AND all mails are retained at the Bank for physical collection by a representative of the customer. | |
Substantial Presence Test | You will be considered a United States resident for tax purposes if you meet the substantial presence test for the calendar year. To meet this test, you must be physically present in the United States (U.S.) on at least:
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Foreign Account Tax Compliance Act (FATCA) Definitions - Entities | ||
US Entities & US Financial Institutions |
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Non-US Financial Institutions |
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Excepted NFFE |
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Exempt Entities |
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Active NFFE |
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Passive NFFE |
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Direct Reporting NFFE | A Passive NFFE can elect to directly report to the IRS information about its direct or indirect Substantial US Owners. These types of Passive NFFEs are known as Direct Reporting NFFEs. In order to report directly to the IRS, Direct Reporting NFFEs will be required to register with the IRS to obtain a Global Intermediary Identification Number (GIIN). | |
Sponsored Direct Reporting NFFE | An Entity will be allowed to sponsor one or more Direct Reporting NFFEs, this entity will be known as a Sponsored Direct Reporting NFFE | |
Global Intermediary Identification Number (GIIN) | A GIIN is the identification number used to identify the FFI for FATCA registration purposes and U.S. information reporting purposes | |
Intergovernmental Agreement (IGA) | Intergovernmental agreements are intended to enable FFIs to identify and report to the IRS U.S. persons that hold assets abroad and for certain non-financial foreign entities (NFFEs) to identify their substantial U.S. owners. In order to comply with the rules, FFIs are required to enter into an FFI agreement with the U.S. Treasury or comply with intergovernmental agreements (IGAs) entered into by their local jurisdictions. U.S. withholding agents (USWAs) must document all of their relationships with foreign entities in order to assist with the enforcement of the rules | |
Non-financial foreign entity (NFFE) | The term NFFE means a foreign entity that is not a financial institution (including a territory NFFE). The term also means a foreign entity treated as an NFFE pursuant to a Model 1 IGA or Model 2 IGA | |
COMMON REPORTING STANDARD (CRS) DEFINITIONS | ||
Account Holder | Account Holder means the person listed or identified as the holder of a Financial Account by the Financial Institution that maintains the account. A person, other than a Financial Institution, holding a Financial Account for the benefit or account of another person as agent, custodian, nominee, signatory, investment advisor, or intermediary, is not treated as holding the account for purposes of the Common Reporting Standard, and such other person is treated as holding the account. | |
Tax Residency | Tax residency is the country where you are resident/registered for tax purposes. Each country has its own rules for defining tax residence. For more information on tax residence, please consult your tax advisor or check the OECD information readily available on the internet. | |
Entity | The term “Entity” means a legal person or a legal arrangement, such as a corporation, organization, partnership, trust or foundation. This term covers any person other than an individual (i.e. a natural person). | |
Financial Institution | The term “Financial Institution” means a “Custodial Institution”, a “Depository Institution”, an “Investment Entity”, or a “Specified Insurance Company”. Please see the relevant domestic guidance and the CRS for further classification definitions that apply to Financial Institutions | |
Depository Institution | The term “Depository Institution” means any Entity that accepts deposits in the ordinary course of a banking or similar business. | |
Custodial Institution | The term “Custodial Institution” means any Entity that holds, as a substantial portion of its business, Financial Assets for the account of others. This is where the Entity’s gross income attributable to the holding of Financial Assets and related financial services equals or exceeds 20% of the Entity’s gross income during the shorter of: (i) the three-year period that ends on 31 December (or the final day of a non-calendar year accounting period) prior to the year in which the determination is being made; or (ii) the period during which the Entity has been in existence. | |
Controlling Person(s) | “Controlling Persons” are the natural person(s) who exercise control over an entity. Where that entity is treated as a Passive Non-Financial Entity (“Passive NFE”) then a Financial Institution is required to determine whether or not these Controlling Persons are Reportable Persons. This definition corresponds to the term “beneficial owner” described in Recommendation 10 and the Interpretative Note on Recommendation 10 of the Financial Action Task Force Recommendations (as adopted in February 2012). In the case of a trust, the Controlling Person(s) are the settlor(s), the trustee(s), the protector(s) (if any), the beneficiary(is) or class(es) of beneficiaries, or any other natural person(s) exercising ultimate effective control over the trust (including through a chain of control or ownership). Under the CRS the settlor(s), the trustee(s), the protector(s) (if any), and the beneficiary(ies) or class(es) of beneficiaries, are always treated as Controlling Persons of a trust, regardless of whether or not any of them exercises control over the activities of the trust. Where the settlor(s) of a trust is an Entity then the CRS requires Financial Institutions to also identify the Controlling Persons of the settlor(s) and when required report them as Controlling Persons of the trust. In the case of a legal arrangement other than a trust, “Controlling Person(s) means persons in equivalent or similar positions FATF Recommendations on Controlling Persons: Identify the beneficial owners of the customer and take reasonable measures to verify the identity of such persons, through the following information. For legal persons: The identity of the natural persons (if any – as ownership interests can be so diversified that there are no natural persons (whether acting alone or together) exercising control of the legal person or arrangement through ownership) who ultimately have a controlling ownership interest in a legal person; and to the extent that there is doubt under (a) as to whether the person(s) with the controlling ownership interest are the beneficial owner(s) or where no natural person exerts control through ownership interests, the identity of the natural persons (if any) exercising control of the legal person or arrangement through other means. Where no natural person is identified under (a) or (b) above, financial institutions should identify and take reasonable measures to verify the identity of the relevant natural person who holds the position of senior managing official. | |
Active NFE | An NFE is an Active NFE if it meets any of the criteria listed below. In summary, those criteria refer to:
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Passive NFE | Under the CRS a “Passive NFE” means any NFE that is not an Active NFE. An Investment Entity located in a Non-Participating Jurisdiction and managed by another Financial Institution is also treated as a Passive NFE for purposes of the CRS. | |
Specified Insurance Company | The term “Specified Insurance Company” means any Entity that is an insurance company (or the holding company of an insurance company) that issues, or is obligated to make payments with respect to, a Cash Value Insurance Contract or an Annuity Contract. | |
Participating Jurisdiction Financial Institution | The term “Participating Jurisdiction Financial Institution means (i) any Financial Institution that is tax resident in a Participating Jurisdiction, but excludes any branch of that Financial Institution that is located outside of that jurisdiction, and (ii) any branch of a Financial Institution that is not tax resident in a Participating Jurisdiction, if that branch is located in such Participating Jurisdiction. | |
Non-Reporting Financial Institution | A "Non-Reporting Financial Institution” means any Financial Institution that is:
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Related Entity | Related Entity means an entity related to another entity because (i) either entity controls the other entity; (ii) the two entities are under common control; or (iii) the two entities are Investment Entities are under common management, and such management fulfils the due diligence obligations of such Investment Entities. For this purpose, control includes direct or indirect ownership of more than 50 % of the vote and value in an Entity. | |
COMMON FATCA & CRS DEFINITIONS | ||
TAX Identification Number (TIN) | A Taxpayer Identification / Information Number (TIN) is a unique combination of letters and/or numbers assigned to the person or you/your entity. Some countries do not issue a TIN, but may rely on other issued numbers such as social security/insurance numbers or company registration numbers for entities. You may need to provide these if requested. The OECD has published a list of the acceptable Taxpayer Identification Number (TIN) formats and their alternatives.
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Beneficial Owner | The term beneficial owner means the person who is the owner of the income for tax purposes and who beneficially owns that income. Thus, a person receiving income in a capacity as a nominee, agent or custodian for another person is not the beneficial owner of the income. | |
Change in Circumstance | A change in circumstance is one that either results in the change of or conflicts with a person’s current status. These circumstances can include a change in the account holder’s status, account, or any other related account. | |
Self-Certification Forms | A completed self-certification form is used to confirm your FATCA classification & Tax residency status under the CRS. |