Foreign Financial Asset Reporting (for U.S. Citizens and Green Card Holders) Dale Mason, CPA International Tax Director The Wolf Group P.C.

Size: px
Start display at page:

Download "Foreign Financial Asset Reporting (for U.S. Citizens and Green Card Holders) Dale Mason, CPA International Tax Director The Wolf Group P.C."

Transcription

1 Foreign Financial Asset Reporting (for U.S. Citizens and Green Card Holders) Dale Mason, CPA International Tax Director The Wolf Group P.C. The Wolf Group, PC Fairfax, VA Washington, DC New York, NY (703)

2 Disclaimer Any U.S. tax issues addressed in the body of this presentation is not intended or written to be used, and cannot be used, by the recipient for the purpose of avoiding any penalties that may be imposed under the Internal Revenue Code or applicable state or local tax law provisions. The U.S. tax law is very complex, please seek professional tax assistance based on your specific situation.

3 Agenda FinCen Form Foreign Bank Account Report Form Specified Foreign Financial Asset Report Form Passive Foreign Investment Companies Form 3520/3520-A Foreign Trusts & Gifts/Bequests from Nonresidents FATCA Foreign Account Tax Compliance Act IRS Amnesty OVDP/Streamlined Procedures

4 FinCen 114 ( FBAR ) Foreign Bank Account Report Required under the Bank Secrecy Act of 1970 Congress was concerned U.S. persons were using foreign financial institutions to hide illegal activity and evade tax Information may be shared with law enforcement Not a tax form, but IRS involved in enforcement Must be received by June 30 th, no extensions For the 2016 FBAR, due date will change to April 15, 2017

5 FBAR - Who Must File? A United States person that has a financial interest in or signature authority over foreign financial accounts must file an FBAR if the aggregate value of the foreign financial accounts exceeds $10,000 at any time during the calendar year. U.S. persons are U.S. citizens and GCH but not person who are tax residents because of an election under 6013(g)

6 FBAR - Foreign Financial Bank Account Account Checking, savings, time deposits, CDs Securities Account Stocks, bonds, mutual funds, etc. Other Financial Account Annuity or insurance policy with a cash surrender value NOT individual stocks or bonds Held outside the U.S. and Territories

7 Financial Interest Owner of Record or Holder of Legal Title Regardless of whether account is maintained for benefit of another Don t need a personal beneficial interest POA, nominee, agent Constructive/Indirect Ownership Account owned by agent, nominee, etc. > 50% owner of corporation > 50% owner of a partnership > 50% present beneficial interest in a trust

8 Signature Authority Signature authority is the authority of an individual (alone or in conjunction with another individual) to control the disposition of assets held in a foreign financial account by direct communication - whether in writing or otherwise) to the bank or other financial institution that maintains the financial account

9 Maximum Value Must file if aggregate of all foreign financial accounts maximum values on any day during the year exceeds $10,000 Look first at the maximum value of each individual account Then aggregate all maximum values and compare to $10,000 Convert foreign currencies at the 12/31 exchange rate using Treasury Department rates: Employed/Treasury-Department-End-of-Year-Exchange- Rates

10 FBAR E-Filing Issues FinCEN 114 Mandatory e-filing For current and amended prior years Third-party authorization FinCEN Form 114a, Record of Authorization to Electronically File FBARs Required to file joint FBAR or for CPA to file for client Kept on file (by both parties), not sent to FinCEN

11 FBAR Penalties Civil Penalties Non-willful: up to $10,000 per violation Willful: up to the greater of $100,000 or 50% of the account balance per violation Reasonable cause exception

12 Form 8938 Specified Foreign Financial Asset Report The Wolf Group, PC Fairfax, VA Washington, DC New York, NY (703)

13 Form 8938 Background Intent is to deter use of tax havens to evade tax through increased disclosure requirements and penalties Requires certain U.S. taxpayers holding specified foreign financial assets exceeding $50,000 to report them on Form 8938 Requirement for tax years starting after 1/01/2011

14 Specified Person Specified Individuals U.S. Citizens Green Card Holders (Usually Other U.S. tax resident NRA electing to be taxed as a resident under 6013(g) or (h)

15 Specified Foreign Financial Asset Any of the following held for investment outside a foreign account: Any stock or security issued by a non-u.s. person Any financial instrument or contract that has a non-u.s. issuer or counterparty Any interest in a foreign entity Foreign social security is NOT a SFFA

16 Form 8938 IDB Pension Amended tax returns required back to tax year 2011! The IDB pension has been determined to be a specified foreign financial asset There is no statute of limitations for the Form 8938 and the return is open for inspection by the IRS unless 8938 is filed (if required to be filed) The IDB defined benefit plan does not have an ascertainable value, therefore the gross amount of the pension received each year should be reported on the Form 8938 The Wolf Group can assist with the preparation of amended tax returns

17 Filing Thresholds Year-End Aggregate Value of All Specified Foreign Financial Assets Exceeds: Highest Annual Balance Exceeds: Single, living in the U.S. $50,000 $75,000 Single, living outside the $200,000 $300,000 U.S. MFS, living in the U.S. $50,000 $75,000 MFS, living outside the U.S. $200,000 $300,000 MFJ, living in the U.S. $100,000 $150,000 MFJ, living outside the U.S. $400,000 $600,000

18 Valuation Accounts: may rely on periodic statements Other assets: may rely on year-end value, don t need appraisal Foreign estate/pension/deferred comp year-end value If not known, year-end FMV of distributions received during the year If no distributions received, zero Presumption that value of SFFAs exceeds filing threshold unless taxpayer can show otherwise Convert to USD at year-end spot rate Employed/Treasury-Department-End-of-Year-Exchange-Rates Even if sold/closed during the year

19 8938 Penalties $10,000 penalty for failing to file Form 8938 Additional $10,000 penalty for each 30-day period following notification by Treasury (after 90 days), up to $50,000 additional 40% underpayment penalty for unreported income related to undisclosed specified foreign financial assets 75% for fraud Criminal penalties Reasonable cause exception Each spouse liable on joint returns

20 Statute of Limitations If a taxpayer fails to file Form 8938 or fails to report a specified foreign financial asset, the statute of limitations for the tax return does not start to run Statute remains open until 3 years after complete 8938 is filed This is why the IDB pension may have to be reported on an amended tax return back to 2011

21 FBAR vs FBAR (FinCEN 114) Form 8938 Who Must File U.S. Persons Specified Persons What is Reported? Foreign financial accounts SFFAs Signature Authority? Yes No Filing Threshold $10,000 $50,000 - $600,000 Maximum Civil Penalties Up to $100,000 or 50% Up to $60,000 Where to File BSA e-filing system With tax return Due Date 6/30, no extensions 4/15, plus extensions Statute of Limitations 6 years from filing date 3 years from filing date FBAR-Requirements

22 Form 8621 PASSIVE FOREIGN INVESTMENT COMPANIES The Wolf Group, PC Fairfax, VA Washington, DC New York, NY (703)

23 History Favorite scheme of U.S. investors before the PFIC rules: Invest in offshore mutual fund Defer tax Redemption of stock in the fund and. Capital gain treatment!

24 What is a PFIC? Good Example: Foreign Mutual Fund/Investment Fund 75% or more of its gross income for the taxable year is passive 50% or more of its assets are held for the production of passive income Passive Income Includes: Interest, Dividends, Rents, Royalties Capital Gains from the sale of passive assets Exception for foreign corporations actively involved in the insurance or banking business

25 3 Options for U.S. PFIC Investors Qualifying Electing Fund ( QEF ) Election Mark-to-Market Election Default: Excess Distribution Regime Applies

26 Qualifying Electing Fund ( QEF ) If PFIC provides all the necessary information then the investor may make a QEF Election QEF Election allows U.S. investor to report his/her prorata share of: Ordinary Earnings (interest, dividends) Net Long-Term Capital Gains Election must be made in first year that U.S. investor holds the PFIC shares

27 Mark- To-Market Election PFIC must be listed on a national securities exchange that is registered with the SEC or a foreign securities exchange that is regulated by a foreign government. U.S. investor recognizes income equivalent to the appreciation of the stock FMV at 12/31 less adjusted basis of stock Income is recognized as ordinary income

28 Excess Distribution Regime Worst case scenario Designed to prevent the accumulation of passive income in a foreign corporation. No current income recognition if no distributions (compare with CFC rules)

29 Excess Distribution Regime Cont. Tax liability arises when an actual distribution is made by a PFIC or when stock sold. An interest charge is imposed on any portion of a distribution that represents deferred income.

30 Excess Distribution Regime Cont. Excess Distribution taxation Excess distributions allocated to current year are treated as ordinary income ocalculate excess distributions using the spot rate in effect on the date of the distribution (sale)

31 Excess Distribution Cont. Excess distributions allocated to prior years is subject to tax at the highest rate of tax in the year concerned. The resulting tax draws and interest charge. oas if it were an underpayment of tax

32 PFIC New Information Reporting Beginning with the 2013 tax return year, every owner of a PFIC must file an 8621 annually (with limited exceptions). No filing requirement for suspended tax years.

33 New PFIC Reporting Cont. Reporting Exception: Excess Distribution Regime No tax under excess distribution regime Aggregate value of all PFIC shares held does not exceed $25,000 ($50K if joint filing) PFIC that is owned is owned by another PFIC See Regulations Exception: PFICS in Foreign Pension funds But only if an income tax treaty allows the pension to be taxable to a U.S. resident only when there is a distribution.

34 Forms 3520 and 3520-A Reporting The Wolf Group, PC Fairfax, VA Washington, DC New York, NY (703)

35 Form 3520-A Foreign trust with a U.S. owner must file Form 3520-A Separate from U.S. tax returns filed with Ogden, UT Due date is March 15 th Extend to September 15 th by filing Form 7004 Penalties: o U.S. owner penalty: greater of $10,000 or 5% of the gross value of the portion of the trust s assets owned o Reasonable cause Income Statement, Balance Sheet, info on trust/owners/beneficiaries

36 Form 3520 Who Must File A U.S. person must file a Form 3520 if during the current tax year: Part I: You are responsible party for reporting a reportable event Part II: You are treated as the owner of any portion of a foreign trust s assets Part III: You receive (directly or indirectly) any distributions from a foreign trust Part IV: You receive gifts or bequests from foreign persons >$100,000

37 Form 3520 Filing Exceptions Most foreign employer pension plans Most fair market value (arm s length) transactions Canadian retirement plans (RRSP or RRIF)

38 Form 3520 Filing Issues Separate Form 3520 must be filed for each foreign trust Can file joint 3520 only if you file a joint tax return Filed separately from U.S. tax returns (again to Ogden) Filing date: generally the date on which filer s income tax return is due (plus any extensions granted for the federal income tax return) Extended by filing Form 4868

39 Form 3520 Part IV Gifts/Bequests from Foreign Persons To calculate the threshold amount of $100,000: Aggregate gifts from different foreign nonresidents and foreign estates if they are related to each other Information to include: Date of gift/bequest Description of property Fair Market Value of property recieved

40 Form 3520 Penalties Penalties: Greater of $10,000 or 35% of gross reportable amount for transfers or distributions Greater of $10,000 or 5% of assets owned by grantor For gifts/bequests, 5% of the value of the gift/bequest per month, up to 25% Extended statute of limitations 3 years until complete Form 3520 is filed

41 IRS Amnesty OVDP/Streamlined Procedures The Wolf Group, PC Fairfax, VA Washington, DC New York, NY (703)

42 Offshore Voluntary Disclosure Mostly for those people who can t certify nonwillfulness 27.5% or 50% of highest unreported account balance 50% if account was with a facilitator or foreign financial institution under investigation

43 FBAR/Information Reports All Income Previously Reported Failed to file some FBARs/Information returns No income failed to be reported Haven t been contacted by the IRS E-file late FBARs/Information returns with explanation No penalties!

44 Streamlined Procedures Failed to file FBARs and/or other Informational Forms Failed to report at least some gross income from foreign accounts

45 Domestic Streamlined Procedures Meet U.S. residency requirements (Didn t have US abode and physically outside the US for 330 days or more) Must have previously filed US income tax returns for the last 3 years Failed to report gross income from foreign account and may have failed to file FBARs or information returns File 6 years of FBARs and 3 years of amended returns Penalty = 5% of highest aggregate value of foreign financial accounts subject to the penalty

46 Foreign Streamlined Procedures Failed to report gross income from foreign account and may have failed to file FBARs or information returns Nonresidency requirements US Citizens and GCH = For any one of the last 3 years for which U.S. tax return due date has passed, didn t have a U.S. aobde AND was physically outside the U.S. for 330 days or mode (Sec 911) Individuals who are not U.S. citizens or GCH = Meet requirement if in any one of the last 3 years File 6 years of FBARs and 3 years of amended returns No penalties!

47 Stressed out?

48 You can have peace of mind

49 The Wolf Group Easing Tax Complexity The Wolf Group Website s Education Center International Tax Videos IDB-IIC Federal Credit Union Income Tax Resource Center Wolf Group representative is available every Thu from 1:30-3:30pm to provide members with resources that match their needs Income Tax Return Preparation Services Income Tax Consulting Financial Planning/Wealth Management Services

50 Contact Us Asaad Anjum New Client Liaison Tel: (703) x I Street, NW (International Square), Suite 500, Washington, DC Fair Lakes Court, Suite 310, Fairfax, VA rd Avenue, 9 th Floor, New York, NY

Instructions for Form 8938 (Rev. December 2014)

Instructions for Form 8938 (Rev. December 2014) Instructions for Form 8938 (Rev. December 2014) Statement of Specified Foreign Financial Assets Department of the Treasury Internal Revenue Service Section references are to the Internal Revenue Code unless

More information

INTERNATIONAL TIDBIT: Reporting Foreign Investments New Requirements for the 2013 Tax Year

INTERNATIONAL TIDBIT: Reporting Foreign Investments New Requirements for the 2013 Tax Year INTERNATIONAL TIDBIT: Reporting Foreign Investments New Requirements for the 2013 Tax Year The last few years have seen increased emphasis on individuals reporting about their foreign investments and penalizing

More information

New Year brings new US Reporting requirement introducing Form 8938 Statement of Specified Foreign Financial Assets

New Year brings new US Reporting requirement introducing Form 8938 Statement of Specified Foreign Financial Assets New Year brings new US Reporting requirement introducing Form 8938 Statement of Specified Foreign Financial Assets Arthur J. Dichter Cantor & Webb P.A., Miami FL The following article gives an overview

More information

Instructions for Form 8938

Instructions for Form 8938 2015 Instructions for Form 8938 Statement of Specified Foreign Financial Assets Department of the Treasury Internal Revenue Service Section references are to the Internal Revenue Code unless otherwise

More information

Are You Ready For New Form 8938 to Report Specified Foreign Financial Assets?

Are You Ready For New Form 8938 to Report Specified Foreign Financial Assets? Are You Ready For New Form 8938 to Report Specified Foreign Financial Assets? The Hiring Incentives to Restore Employment ( HIRE ) Act, signed into law in 2010, included modified provisions of the previously

More information

TAX CONSEQUENCES FOR U.S. CITIZENS AND OTHER U.S. PERSONS LIVING IN CANADA

TAX CONSEQUENCES FOR U.S. CITIZENS AND OTHER U.S. PERSONS LIVING IN CANADA March 2015 CONTENTS U.S. income tax filing requirements Non-filers U.S. foreign reporting requirements Foreign trusts Foreign corporations Foreign partnerships U.S. Social Security U.S. estate tax U.S.

More information

US Taxpayers Participating in Non US Retirement Plans: When is There an FBAR or FATCA Reporting Obligation?

US Taxpayers Participating in Non US Retirement Plans: When is There an FBAR or FATCA Reporting Obligation? February 29, 2012 Authors: Anubhav Gogna and David W. Powell If you have questions, please contact your regular Groom attorney or any of the attorneys listed below: Anubhav Gogna agogna@groom.com (202)

More information

Presentation by Jennifer Coates for the American Immigration Lawyers Association

Presentation by Jennifer Coates for the American Immigration Lawyers Association Tax Issues for Non- Citizens What Immigration Lawyers Need to Know Presentation by Jennifer Coates for the American Immigration Lawyers Association Principal, Jenny Coates Law, PLLC Seattle and Bainbridge,

More information

Tax Implications for US Citizens/Residents Moving to & Living in Canada

Tax Implications for US Citizens/Residents Moving to & Living in Canada Tax Implications for US Citizens/Residents Moving to & Living in Canada TAX Julia Klann & Domeny Wu March 20, 2014 Topics to Discuss Moving to Canada & Overview of Canadian & US Tax Systems US Filing Requirements

More information

FOREIGN INCOME, ASSETS, AND IRS AMNESTY PROGRAMS

FOREIGN INCOME, ASSETS, AND IRS AMNESTY PROGRAMS FOREIGN INCOME, ASSETS, AND IRS AMNESTY PROGRAMS Ahuja & Clark, PLLC By: Madhu Ahuja, CPA, CVA, CFE Ravi Modi, CPA www.ahujaclark.com WHO IS SUBJECT TO TAX FILING REQUIREMENTS? U.S. Citizen and Green Card

More information

Foreign Financial Account & Asset Reporting: FinCen (FBAR) v. FATCA

Foreign Financial Account & Asset Reporting: FinCen (FBAR) v. FATCA Foreign Financial Account & Asset Reporting: FinCen (FBAR) v. FATCA Presented by David J Lewis, Attorney, of Krugliak, Wilkins, Griffiths & Dougherty Co. LPA and Patricia L Gibbs, CPA, of CBIZ MHM September

More information

Foreign Account Tax Compliance Act ("FATCA")

Foreign Account Tax Compliance Act (FATCA) Required Form Who Must File? Does the United States include U.S. territories? Reporting Threshold (Total Value of Assets) When do you have an interest in an account or asset? Foreign Account Tax Compliance

More information

U.S. / ISRAELI INCOME TAX UPDATE FOR YEAR 2015 (2014 Tax Year)

U.S. / ISRAELI INCOME TAX UPDATE FOR YEAR 2015 (2014 Tax Year) 02-999-2104, 03-527-3254, 09-746-0623 Cellular: 052-274-9999 Fax: 02-991-0195 Email: alan@ardcpa.com Website: www.ardcpa.com U.S. / ISRAELI INCOME TAX UPDATE FOR YEAR 2015 (2014 Tax Year) The 2014 U.S.

More information

Reporting Cash Transactions and Foreign Financial Accounts (Foreign Bank Account Reports "FBAR")

Reporting Cash Transactions and Foreign Financial Accounts (Foreign Bank Account Reports FBAR) Reporting Cash Transactions and Foreign Financial Accounts (Foreign Bank Account Reports "FBAR") Form 8300 - Reporting Cash Payments Over $10,000 in a Trade or Business Reportable transactions include,

More information

GUIDE TO U.S. INCOME TAXATION FOR IDB-IIC FCU MEMBERS

GUIDE TO U.S. INCOME TAXATION FOR IDB-IIC FCU MEMBERS GUIDE TO U.S. INCOME TAXATION FOR IDB-IIC FCU MEMBERS Prepared Exclusively for IDB-IIC FCU Members by The Wolf Group, P.C. January, 2013 Copyright 2013 - The Wolf Group, P.C. January 2013 1 Copyright 2013

More information

Human Resource Services Webcast

Human Resource Services Webcast Human Resource Services Webcast Foreign reporting requirements in Canada and the US: What s new and why you need to comply Administrative information 60 minute webcast Audio with slides For a better viewing

More information

international tax issues and reporting requirements

international tax issues and reporting requirements international tax issues and reporting requirements Foreign income exclusions and foreign tax credits can significantly reduce the taxes you pay on foreign sourced income and help you avoid double taxation.

More information

FBAR Background. Reporting Foreign Financial Accounts on the Electronic FBAR

FBAR Background. Reporting Foreign Financial Accounts on the Electronic FBAR FBAR Background Reporting Foreign Financial Accounts on the Electronic FBAR ROD LUNDQUIST, SENIOR POLICY ANALYST SMALL BUSINESS/SELF-EMPLOYED June 4, 2014 Bank Secrecy Act enacted in 1970 Codified primarily

More information

Radio X June 19 Broadcast Foreign Asset Reporting Questions & Answers

Radio X June 19 Broadcast Foreign Asset Reporting Questions & Answers Radio X June 19 Broadcast Foreign Asset Reporting Questions & Answers 1. What is the FBAR filing? FBAR is the acronym for the Foreign Bank Account Report that must be filed annually with the IRS to report

More information

Tax Aspects of Consulting The Exit Tax Roth IRA Conversions Other. Foreign Bank Account Reporting Update Social Security

Tax Aspects of Consulting The Exit Tax Roth IRA Conversions Other. Foreign Bank Account Reporting Update Social Security The Wolf Group, PC Tax Aspects of Consulting The Exit Tax Roth IRA Conversions Other Foreign Bank Account Reporting Update Social Security U.S. citizen Green card holder G-4 visa holder Based on common

More information

US Citizens Living in Canada

US Citizens Living in Canada US Citizens Living in Canada Income Tax Considerations 1) I am a US citizen living in Canada. What are my income tax filing and reporting requirements? US Income Tax Returns A US citizen residing in Canada

More information

What s News in Tax Analysis That Matters from Washington National Tax

What s News in Tax Analysis That Matters from Washington National Tax What s News in Tax Analysis That Matters from Washington National Tax Have Undisclosed Foreign Assets? IRS Offers Options There is good news for individuals who inadvertently failed to fulfill tax and

More information

American Bar Association Section of Family Law 2014 Spring CLE Conference PLENARY:

American Bar Association Section of Family Law 2014 Spring CLE Conference PLENARY: American Bar Association Section of Family Law 2014 Spring CLE Conference PLENARY: How to Find Your Spouse s Secret Offshore Bank Account: Using U.S. Tax Reporting Requirements as a Discovery Tool for

More information

Handling IRS Targeted Audits, Voluntary Disclosures and Reporting Foreign Assets. Presentation Roadmap

Handling IRS Targeted Audits, Voluntary Disclosures and Reporting Foreign Assets. Presentation Roadmap Handling IRS Targeted Audits, Voluntary Disclosures and Reporting Foreign Assets Elizabeth Copeland 210.250.6121 elizabeth.copeland@strasburger.com Farley Katz 210.250.6007 farley.katz@strasburger.com

More information

Top 10 Tax Considerations for U.S. Citizens Living in Canada

Top 10 Tax Considerations for U.S. Citizens Living in Canada Top 10 Tax Considerations for U.S. Citizens Living in Canada Recent Canadian media reports have estimated that there are approximately one million U.S. citizens living in Canada and that a relatively low

More information

US Tax Issues for Canadian Residents

US Tax Issues for Canadian Residents US Tax Issues for Canadian Residents SPECIAL REPORT US Tax Issues for Canadian Residents The IRS has recently declared new catch up filing procedures for non-resident US taxpayers who are considered innocent

More information

The I.R.S. Amnesty Program & The New Streamlined Filing Compliance Procedures

The I.R.S. Amnesty Program & The New Streamlined Filing Compliance Procedures TOPICS IN THE SEMINAR INCLUDE: The I.R.S. Amnesty Program & The New Streamlined Filing Compliance Procedures By Richard S. Lehman, Esq. TAX ATTORNEY www.lehmantaxlaw.com SEMINAR INTRODUCTION by Richard

More information

Long Awaited Guidance Concerning Foreign Bank Account ( FBAR ) Filing Requirements Released

Long Awaited Guidance Concerning Foreign Bank Account ( FBAR ) Filing Requirements Released Long Awaited Guidance Concerning Foreign Bank Account ( FBAR ) Filing Requirements Released This past week, the Treasury Department s Financial Crimes Enforcement Network (FinCEN) released proposed changes

More information

INTERNATIONAL TAX CONTROVERSY

INTERNATIONAL TAX CONTROVERSY INTERNATIONAL TAX CONTROVERSY BY MISHKIN SANTA PETER MITCHELL About Us Who we are What we do Why we re here Part I: International Tax Controversy Voluntary Disclosure Attorney-client privilege IRM 9.5.11.9

More information

Report of Foreign Bank and Financial Accounts (FBAR)

Report of Foreign Bank and Financial Accounts (FBAR) Report of Foreign Bank and Financial Accounts (FBAR) Presenter s name Date Objectives FBAR purpose FBAR reporting / recordkeeping FBAR penalties Compliance initiatives 2 FBAR Purpose Combat the use of

More information

SPECIAL TAX ISSUES FOR EXPATRIATE AMERICANS

SPECIAL TAX ISSUES FOR EXPATRIATE AMERICANS SPECIAL TAX ISSUES FOR EXPATRIATE AMERICANS Anthony Malik Point Square Consulting P: (770) 845-9289 F: (770) 628-0086 E: tony@pointsquaretax.com Presented: July, 2015 Atlanta Chapter, Georgia Association

More information

The Bank of Nova Scotia Shareholder Dividend and Share Purchase Plan

The Bank of Nova Scotia Shareholder Dividend and Share Purchase Plan The Bank of Nova Scotia Shareholder Dividend and Share Purchase Plan Offering Circular Effective November 6, 2013 The description contained in this Offering Circular of the Canadian and U.S. income tax

More information

Reporting Foreign Assets and Offshore Accounts

Reporting Foreign Assets and Offshore Accounts Reporting Foreign Assets and Offshore Accounts ( and Form 8938) Commissioner Shulman (June 2009) For individuals with overseas income and assets, it s much more straightforward. If you are a U.S. taxpayer

More information

U.S. Taxation and information reporting for foreign trusts and their U.S. owners and U.S. beneficiaries

U.S. Taxation and information reporting for foreign trusts and their U.S. owners and U.S. beneficiaries Private Company Services U.S. Taxation and information reporting for foreign trusts and their U.S. owners and U.S. beneficiaries United States (U.S.) owners and beneficiaries of foreign trusts (i.e., non-u.s.

More information

TD F 90-22.1 (Rev. January 2012) Department of the Treasury

TD F 90-22.1 (Rev. January 2012) Department of the Treasury TD F 90-22.1 (Rev. January 2012) Department of the Treasury REPORT OF FOREIGN BANK AND FINANCIAL ACCOUNTS OMB No. 1545-2038 1 This Report is for Calendar Year Ended 12/31 Do not use previous editions of

More information

Foreign Bank Account Reports (FBAR)

Foreign Bank Account Reports (FBAR) Foreign Bank Account Reports (FBAR) Peter Trieu, Esq., LLM and Company 101 Second Street, Ste. 1200 San Francisco, CA 94105 415-433-1177 ptrieu@rowbotham.com Reporting Requirement U.S. persons holding

More information

Corrective U.S. Tax Compliance for Dual Status and Foreign Taxpayers Andrew Bernknopf, Esq., Member:

Corrective U.S. Tax Compliance for Dual Status and Foreign Taxpayers Andrew Bernknopf, Esq., Member: Corrective U.S. Tax Compliance for Dual Status and Foreign Taxpayers Andrew Bernknopf, Esq., Member: This article provides an overview of corrective United States tax compliance measures for individuals

More information

Tax Information for Employees of the German Embassy & Consulates

Tax Information for Employees of the German Embassy & Consulates Tax Information for Employees of the German & Consulates Rick Ward February 27, 2014 Agenda Categories of employees Exemptions from US Tax Taxation of US Citizens and Residents Taxation of A-2 Visa Holders

More information

You may have US tax filing obligations even if some or all of your income was already taxed at source or is going to be taxed by a foreign country.

You may have US tax filing obligations even if some or all of your income was already taxed at source or is going to be taxed by a foreign country. Dummies Guide -- US Taxes Abroad Introduction and Overview You're a US citizen or a green card holder and you live somewhere outside the USA (i.e., in a "foreign" country). You may have US tax filing obligations

More information

Offshore Tax Evasion: US Initiatives

Offshore Tax Evasion: US Initiatives Scott D. Michel, Caplin & Drysdale This Article discusses the US reporting rules for US taxpayers with foreign accounts and assets (including FBAR and FATCA), the civil penalties for non-compliance with

More information

The Report of Foreign Bank and Financial Accounts: Tough New Requirements Preparing for FBAR's Increased Data Demands on More Businesses and Investors

The Report of Foreign Bank and Financial Accounts: Tough New Requirements Preparing for FBAR's Increased Data Demands on More Businesses and Investors presents The Report of Foreign Bank and Financial Accounts: Tough New Requirements Preparing for FBAR's Increased Data Demands on More Businesses and Investors A Live 110-Minute Teleconference/Webinar

More information

Fundamental Financial Planning and Investment Strategies

Fundamental Financial Planning and Investment Strategies Nexia International Special Report October 2012 Fundamental Financial Planning and Investment Strategies for U.S. Persons Living Overseas page 2 Nexia International Special Report, October 2012 Fundamental

More information

Foreign Account Tax Compliance Act ( FATCA ) How Does It Affect NFFEs and Individuals

Foreign Account Tax Compliance Act ( FATCA ) How Does It Affect NFFEs and Individuals Foreign Account Tax Compliance Act ( FATCA ) How Does It Affect NFFEs and Individuals May, 2012 2008 Venable LLP 1 agenda Overview FATCA and NFFEs FATCA and Individuals US Information Reporting for US

More information

FBAR Foreign Bank Account Reporting

FBAR Foreign Bank Account Reporting FBAR Foreign Bank Account Reporting ------------------------------------------------------------------------------------------------------------ Form TD F 90-22.1 is required when a U.S. Person has a financial

More information

October 23, 2015. Ann Marie Regal, CFP Wealth Manager +65 9146 1862 amregal@globaleye.sg

October 23, 2015. Ann Marie Regal, CFP Wealth Manager +65 9146 1862 amregal@globaleye.sg October 23, 2015 Ann Marie Regal, CFP Wealth Manager +65 9146 1862 amregal@globaleye.sg Aron Lanie Wealth Manager +84 (0) 938531784 alanie@globaleye.com Disclaimer The information presented herein is for

More information

Dispelling Fear! What are your fears?! - Criminal implications! - Cost of penalties! - Cost of getting compliant with advisors!

Dispelling Fear! What are your fears?! - Criminal implications! - Cost of penalties! - Cost of getting compliant with advisors! Dispelling Fear! What are your fears?! - Criminal implications! - Cost of penalties! - Cost of getting compliant with advisors! Do not fear the consequences, get the facts:! Each Individual is unique!

More information

Fundamental Financial Planning and Investment Strategies

Fundamental Financial Planning and Investment Strategies Nexia International Special Report October 2012 Fundamental Financial Planning and Investment Strategies for Foreign Nationals Living In United States page 2 Nexia International Special Report, October

More information

Overview of 2011 IRS Offshore Voluntary Disclosure Initiative

Overview of 2011 IRS Offshore Voluntary Disclosure Initiative Overview of 2011 IRS Offshore Voluntary Disclosure Initiative Attorney Morris N. Robinson, CPA, LLM M. Robinson & Company MassTaxLawyers.com 160 Federal Street Boston, MA 02110 617/ 428-6900 1 M. Robinson

More information

Notice 97-34, 1997-1 CB 422, 6/02/1997, IRC Sec(s). 6048

Notice 97-34, 1997-1 CB 422, 6/02/1997, IRC Sec(s). 6048 Notice 97-34, 1997-1 CB 422, 6/02/1997, IRC Sec(s). 6048 Returns of foreign trusts foreign gift reporting requirements tax This notice provides guidance regarding the new foreign trust and foreign gift

More information

INTERNATIONAL TAX COMPLIANCE FOR GOVERNMENT CONTRACTORS

INTERNATIONAL TAX COMPLIANCE FOR GOVERNMENT CONTRACTORS INTERNATIONAL TAX COMPLIANCE FOR GOVERNMENT CONTRACTORS Mark T. Gossart Alison N. Dougherty September 26, 2012 2012 All Rights Reserved 805 King Farm Boulevard Suite 300 Rockville, Maryland 20850 301.231.6200

More information

Top 10 Foreign Bank Account Reporting (FBAR) Mistakes (And How to Fix Them)

Top 10 Foreign Bank Account Reporting (FBAR) Mistakes (And How to Fix Them) Latham & Watkins Tax Controversy Practice June 2, 2015 Number 1839 Top 10 Foreign Bank Account Reporting (FBAR) Mistakes (And How to Fix Them) While FBAR reporting rules are frequently misunderstood, US

More information

Tax Issues related to holding Canadian assets, Estate issues & other matters

Tax Issues related to holding Canadian assets, Estate issues & other matters Tax Issues related to holding Canadian assets, Estate issues & other matters Carol-Ann Simon, Shareholder Masataka Yamaguchi, International Tax Manager January 14, 2014 Case Study: Client Assumptions &

More information

CALIFORNIA STATE BAR TAXATION SECTION TAX PROCEDURE AND LITIGATION COMMITTEE AND INTERNATIONAL TAX COMMITTEE

CALIFORNIA STATE BAR TAXATION SECTION TAX PROCEDURE AND LITIGATION COMMITTEE AND INTERNATIONAL TAX COMMITTEE CALIFORNIA STATE BAR TAXATION SECTION TAX PROCEDURE AND LITIGATION COMMITTEE AND INTERNATIONAL TAX COMMITTEE A SIMPLIFIED PROCEDURE TO ALLOW LATE FILED FORMS 8891 FOR INDIVIDUALS WITH CANADIAN RETIREMENT

More information

Increased IRS Tax Compliance Involving U.S. Citizens/Green Card Holders in Israel

Increased IRS Tax Compliance Involving U.S. Citizens/Green Card Holders in Israel Increased IRS Tax Compliance Involving U.S. Citizens/Green Card Holders in Israel October 2012 Tax Seminar Stuart M. Schabes, Esquire Ober, Kaler, Grimes & Shriver smschabes@ober.com 410-347-7696 (U.S.)

More information

New York Law School April 24, 2015. Professor Alan I. Appel New York Law School

New York Law School April 24, 2015. Professor Alan I. Appel New York Law School Undisclosed Foreign Accounts: IRS Investigations, Audits, OVDP and Streamlined Disclosures The Lawyer s Role in Guiding the Taxpayer through Perilous Waters New York Law School April 24, 2015 Professor

More information

May 7, 2012 California Bar Suggests Guidance, Safe Harbor to Aid Foreign Pension Beneficiaries

May 7, 2012 California Bar Suggests Guidance, Safe Harbor to Aid Foreign Pension Beneficiaries May 7, 2012 California Bar Suggests Guidance, Safe Harbor to Aid Foreign Pension Beneficiaries Philip D.W. Hodgen and Steven L. Walker of the California State Bar Taxation Section proposed that the IRS

More information

Foreign Bank Account Reporting for Employee Benefit Plan Investments

Foreign Bank Account Reporting for Employee Benefit Plan Investments Foreign Bank Account Reporting for Employee Benefit Plan Investments By Jennifer E. Eller and Michael P. Kreps This article appeared in the November/December issue of ABA Trust & Investments. Are you a

More information

Residency for U.S. Income Tax Purposes by Jo Anne C. Adlerstein

Residency for U.S. Income Tax Purposes by Jo Anne C. Adlerstein Copyright 2014, American Immigration Lawyers Association. Reprinted, with permission, from AILA s Immigration Practice Pointers (2014 15 Ed.), AILA Publications, http://agora.aila.org. Residency for U.S.

More information

Daily Tax Report. N ew rules requiring reporting of specified foreign. FBAR and FATCA Foreign Financial Assets Reporting: Seeing Double?

Daily Tax Report. N ew rules requiring reporting of specified foreign. FBAR and FATCA Foreign Financial Assets Reporting: Seeing Double? Daily Tax Report NUMBER 246 DECEMBER 22, 2011 FBAR and : Seeing Double? Not Really BY CHARLES M. BRUCE N ew rules requiring reporting of specified foreign financial assets were enacted in March 2010 and

More information

In February of 2011 the IRS announced a partial

In February of 2011 the IRS announced a partial Offshore Voluntary Disclosure The Next Generation By Dennis Brager Dennis Brager examines the next generation of partial tax amnesty for taxpayers who have failed to meet the myriad of disclosure requirements

More information

IRS Issues Final FATCA Regulations

IRS Issues Final FATCA Regulations IRS Issues Final FATCA Regulations The United States Internal Revenue Service (IRS) has issued long-awaited final regulations (the Final Regulations) under the Foreign Account Tax Compliance Act (FATCA).

More information

Overview of Common Civil Penalties Asserted by the IRS

Overview of Common Civil Penalties Asserted by the IRS Overview of Common Civil Penalties Asserted by the IRS December, 2008 Bob Kane Rob McCallum LeSourd & Patten, P.S. INTRODUCTION In 1989, Congress enacted legislation substantially revising the civil penalty

More information

Representing U.S.-Swiss Dual Passport Holders in IRS Voluntary Disclosure Cases

Representing U.S.-Swiss Dual Passport Holders in IRS Voluntary Disclosure Cases Volume 55, Number 9 August 31, 2009 Representing U.S.-Swiss Dual Passport Holders in IRS Voluntary Disclosure Cases by William M. Sharp Sr. and Natalie Peter Reprinted from Tax Notes Int l, August 31,

More information

compensatory partnership and LLC interests in a non-u.s. entity.

compensatory partnership and LLC interests in a non-u.s. entity. FATCA COMPENSATION REPORTING: NEW RULES MAY REQUIRE REPORTING OF NON-U.S. SOURCED COMPENSATION TO THE IRS March 22, 2012 To Our Clients and Friends: In an effort to shake out hidden assets and prevent

More information

Nuts & Bolts of Cross Border Tax Issues

Nuts & Bolts of Cross Border Tax Issues Nuts & Bolts of Cross Border Tax Issues Central Arizona Estate Planning Council November 2, 2015 Presented by: Certified Public Accountant Attorney at Law 1 Overview What is an International Tax Practice?

More information

Request for Comments Regarding Proposed Changes to the Report of Foreign Bank and Financial Accounts Report

Request for Comments Regarding Proposed Changes to the Report of Foreign Bank and Financial Accounts Report Attn: PRA Comments Update to the FBAR Report Regulatory Policy and Programs Division Financial Crimes Enforcement Network U.S. Department of the Treasury P.O. Box 39 Vienna, VA 22183 RE: Request for Comments

More information

Reporting Requirements for Foreign Financial Accounts

Reporting Requirements for Foreign Financial Accounts Reporting Requirements for Foreign Financial Accounts Proposed FinCEN Regulations and IRS Guidance On Foreign Bank and Financial Account Reporting SUMMARY On February 26, the IRS issued Notice 2010-23

More information

International Tax. Las Vegas, Nevada December 4-5, 2012

International Tax. Las Vegas, Nevada December 4-5, 2012 International Tax 4 th Annual Southwest Tax Conference Las Vegas, Nevada December 4-5, 2012 Brian Phillip Lau Cindy Hsieh br@rowbotham.com plau@rowbotham.com chsieh@rowbotham.com 101 2 nd Street, Suite

More information

USA Taxation. 3.1 Taxation of funds. Taxation of regulated investment companies: income tax

USA Taxation. 3.1 Taxation of funds. Taxation of regulated investment companies: income tax USA Taxation FUNDS AND FUND MANAGEMENT 2010 3.1 Taxation of funds Taxation of regulated investment companies: income tax Investment companies in the United States (US) are structured either as openend

More information

Pre-Immigration Planning

Pre-Immigration Planning Estate Planners Day 2013 Estate Planning Council Pre-Immigration Planning Kathryn von Matthiessen Cantor & Webb, P.A. May 8, 2013 Resident/Nonresident Domiciliary/Nondomiciliary RESIDENT DOMICILIARY NONRESIDENT

More information

Pre-Immigration Income Tax Planning

Pre-Immigration Income Tax Planning PART OF THE LEHMAN TAX LAW KNOWLEDGE BASE SERIES United States Taxation Of Investors Pre-Immigration Income Tax Planning By Richard S. Lehman Esq. TAX ATTORNEY www.lehmantaxlaw.com Richard S. Lehman Esq.

More information

FOREIGN BANK ACCOUNT REPORTING (FBAR) UPDATE CORE LAWYER WORKING GROUP SUMMER 2010. Caring For Those Who Serve

FOREIGN BANK ACCOUNT REPORTING (FBAR) UPDATE CORE LAWYER WORKING GROUP SUMMER 2010. Caring For Those Who Serve FOREIGN BANK ACCOUNT REPORTING (FBAR) UPDATE CORE LAWYER WORKING GROUP SUMMER 2010 Caring For Those Who Serve Reminder: What is FBAR? The Report of Foreign Bank and Financial Accounts ( FBAR ), Treasury

More information

Spin-Off of Time Warner Cable Inc. Tax Information Statement As of March 19, 2009

Spin-Off of Time Warner Cable Inc. Tax Information Statement As of March 19, 2009 Spin-Off of Time Warner Cable Inc. Tax Information Statement As of March 19, 2009 On March 12, 2009, Time Warner Inc. ( Time Warner ) completed the spin-off (the Spin-Off ) of Time Warner s ownership interest

More information

Canadian RRSPs, RRIFs and Other Foreign Funded Retirement Plans: Tax Planning and Reporting for 402(b) Funded Plans

Canadian RRSPs, RRIFs and Other Foreign Funded Retirement Plans: Tax Planning and Reporting for 402(b) Funded Plans FOR LIVE PROGRAM ONLY Canadian RRSPs, RRIFs and Other Foreign Funded Retirement Plans: Tax Planning and Reporting for 402(b) Funded Plans TUESDAY, JUNE 7, 2016, 1:00-2:50 pm Eastern IMPORTANT INFORMATION

More information

Instructions for Form 8960

Instructions for Form 8960 2014 Instructions for Form 8960 Net Investment Income Tax Individuals, Estates, and Trusts Department of the Treasury Internal Revenue Service Section references are to the Internal Revenue Code unless

More information

Farmers and Foreign Accounts

Farmers and Foreign Accounts Farmers and Foreign Accounts Marc Lovell Tax School and Department of Agricultural and Consumer Economics University of Illinois August 9, 04 farmdoc daily (4):65 Recommended citation format: Lovell, M.

More information

Tax and Estate Planning Issues for Canadian Citizens and Residents residing in the U.S. and Dual U.S.- Canadian Citizens

Tax and Estate Planning Issues for Canadian Citizens and Residents residing in the U.S. and Dual U.S.- Canadian Citizens September 23, 2008 Tax and Estate Planning Issues for Canadian Citizens and Residents residing in the U.S. and Dual U.S.- Canadian Citizens Natalia Yegorova is an associate at Black Helterline LLP. Her

More information

THE TAX-FREE SAVINGS ACCOUNT

THE TAX-FREE SAVINGS ACCOUNT THE TAX-FREE SAVINGS ACCOUNT The 2008 federal budget introduced the Tax-Free Savings Account (TFSA) for individuals beginning in 2009. The TFSA allows you to set money aside without paying tax on the income

More information

US FATCA FAQ and Glossary of FATCA terms

US FATCA FAQ and Glossary of FATCA terms US FATCA FAQ and Glossary of FATCA terms These FAQs are intended to aid you in your understanding how FATCA affects your relationship with UBS. This is not intended as tax advice. If you are uncertain

More information

IRS Issues Final and New Proposed Regulations Implementing the 3.8% Tax on Investment Income

IRS Issues Final and New Proposed Regulations Implementing the 3.8% Tax on Investment Income IRS Issues Final and New Proposed Regulations Implementing the 3.8% Tax on Investment Income Final Regulations and New Proposed Regulations Implement the 3.8% Tax on Net Investment Income of Individuals,

More information

Comparing REITs. kpmg.ca

Comparing REITs. kpmg.ca Comparing REITs US vs. Canada January 2013 kpmg.ca Table of Contents REITs US & Canada Tax at Shareholders Level el US & Canada Corporate domestic shareholders Individual domestic shareholders Foreign

More information

March 28, 2012 India Tax Update

March 28, 2012 India Tax Update Silicon Valley March 28, 2012 India Tax Update Brian br@rowbotham.com (415) 433-1177 www.rowbotham.com U.S. Tax Reporting Challenges IRS Forms Penalties 5471 Foreign Corporation $10k per year per omission

More information

University of Illinois Tax School 2014 Federal Tax Workbook Chapter 6: IRS Representation and Procedures

University of Illinois Tax School 2014 Federal Tax Workbook Chapter 6: IRS Representation and Procedures University of Illinois Tax School 2014 Federal Tax Workbook Chapter 6: IRS Representation and Procedures Presenter s Name: Shawn Savage IRS Sr. Stakeholder Liaison Date: October 21, 23, 29 2014 Topic 1:

More information

Foreign Bank Account Reporting

Foreign Bank Account Reporting Foreign Bank Account Reporting and denforcement tupdate: The Internal Revenue Service s 2011 Offshore Voluntary Disclosure Initiative and the New FBAR Regulations Presented by Matthew Lee, Jennifer Bell,

More information

FBAR s: 2011 Final (BSA) Regulations and How they apply to Protectors, Directors and other Powerholders

FBAR s: 2011 Final (BSA) Regulations and How they apply to Protectors, Directors and other Powerholders FBAR s: 2011 Final (BSA) Regulations and How they apply to Protectors, Directors and other Powerholders STEP Miami Branch One Day Conference Friday, June 10, 2011 Conrad Hotel, Miami, FL Stewart L. Kasner

More information

Expatriation - A Comparison of Tax Issues in the US & UK in an Increasingly Mobile World

Expatriation - A Comparison of Tax Issues in the US & UK in an Increasingly Mobile World Expatriation - A Comparison of Tax Issues in the US & UK in an Increasingly Mobile World Henry Christensen III Jay E. Rivlin www.mwe.com Boston Brussels Chicago Düsseldorf Frankfurt Houston London Los

More information

8 THINGS YOU MUST KNOW BEFORE THE IRS CALLS YOU

8 THINGS YOU MUST KNOW BEFORE THE IRS CALLS YOU 8 THINGS YOU MUST KNOW BEFORE THE IRS CALLS YOU Contact Us Today to Schedule a Free Consultation. Call 866-784-0023 or visit www.mlhorwitzlaw.com 8 Things You Must Know Before the IRS Calls You What is

More information

Your Taxes: IRS grants 3-week extension for its tax-amnesty program

Your Taxes: IRS grants 3-week extension for its tax-amnesty program Your Taxes: IRS grants 3-week extension for its tax-amnesty program Sep. 22, 2009 KEVIN E. PACKMAN and LEON HARRIS, THE JERUSALEM POST This article is an urgent update for US taxpayers... and it comes

More information

tax information reporting

tax information reporting onesource tax information reporting IRC Section 6050W: FORM 1099-K TAX INFORMATION REPORTING FOR PAYMENTS IN SETTLEMENT OF TRANSACTIONS MADE THROUGH PAYMENT CARDS AND THIRD-PARTY NETWORKS With new Internal

More information

Withdrawal Request - In Service 401 Corporate ERISA

Withdrawal Request - In Service 401 Corporate ERISA Withdrawal Request - In Service 401 Corporate ERISA ING Life Insurance and Annuity Company 151 Farmington Avenue Hartford, CT 06156-1268 Telephone: 1-800-262-3862 ING Life Insurance and Annuity Company

More information

FBAR CONSIDERATIONS. Possible Penalties for failure to file FBAR are $250,000.00 per violation and 5 years imprisonment.

FBAR CONSIDERATIONS. Possible Penalties for failure to file FBAR are $250,000.00 per violation and 5 years imprisonment. In recent years the United States has been more closely analyzing and scrutinizing the investments held by United States Residents and United States Persons for many reasons not all of which are tax related.

More information

US Voluntary Disclosure

US Voluntary Disclosure what you need to know, and how we can help www.withersworldwide.com Introduction Countries throughout the world have committed to redefining banking secrecy laws so as to no longer protect any form of

More information

Procedures for Opt Out and Removal of Taxpayers from IRS FBAR Voluntary Disclosure Program

Procedures for Opt Out and Removal of Taxpayers from IRS FBAR Voluntary Disclosure Program Procedures for Opt Out and Removal of Taxpayers from IRS FBAR Voluntary Disclosure Program Guidance for Opt Out and Removal of Taxpayers from the Civil Settlement Structure of the 2009 Offshore Voluntary

More information

The New Duty to Report Foreign Financial Assets on Form 8938: Demystifying the Complex Rules and Severe Consequences of Noncompliance

The New Duty to Report Foreign Financial Assets on Form 8938: Demystifying the Complex Rules and Severe Consequences of Noncompliance The New Duty to Report Foreign Financial Assets on Form 8938: Demystifying the Complex Rules and Severe Consequences of ncompliance May June 2012 By Hale E. Sheppard Hale E. Sheppard, J.D., LL.M., LL.M.T.,

More information

Mutual Fund Tax Guide

Mutual Fund Tax Guide 2010 Mutual Fund Tax Guide TABLE OF CONTENTS Part 1 - Tax Items of Interest... 2-6 Part 2 - Tax Forms... 7-14 Form 1099-DIV...7 Form 1099-B...8 Form 1099-R...9 Form 1099-Q...10 Form 1099-INT...11 Form

More information

Agreement for 2015 S Corporation Income Tax Preparation

Agreement for 2015 S Corporation Income Tax Preparation Agreement for 2015 S Corporation Income Tax Preparation Dear Client: We will prepare the federal, resident state and city S-corporation income tax returns for for the year ended December 31, 2015 and we

More information

FAQs on Cost-Basis Reporting for Brokers

FAQs on Cost-Basis Reporting for Brokers FAQs on Cost-Basis Reporting for Brokers The IRS published a list of Frequently Asked Questions on the new expanded tax reporting requirement for brokers which include reporting their customer s tax basis

More information

[LOGO] ROGERS COMMUNICATIONS INC. DIVIDEND REINVESTMENT PLAN. November 1, 2010

[LOGO] ROGERS COMMUNICATIONS INC. DIVIDEND REINVESTMENT PLAN. November 1, 2010 [LOGO] ROGERS COMMUNICATIONS INC. DIVIDEND REINVESTMENT PLAN November 1, 2010 Rogers Communications Inc. Dividend Reinvestment Plan Table of Contents SUMMARY... 3 DEFINITIONS... 4 ELIGIBILITY... 6 ENROLLMENT...

More information

1 of 14 9/18/2014 2:20 PM

1 of 14 9/18/2014 2:20 PM Internal Revenue Manual - 4.26.16 Report of Foreign Bank and Financia... Part 4. Examining Process Chapter 26. Bank Secrecy Act Section 16. Report of Foreign Bank and Financial Accounts (FBAR) 4.26.16

More information