Further US FATCA And CRS Notification And Reporting Update

C
Conyers
Contributor
Conyers is a leading international law firm with a broad client base including FTSE 100 and Fortune 500 companies, international finance houses and asset managers. The firm advises on Bermuda, British Virgin Islands and Cayman Islands laws, from offices in those jurisdictions and in the key financial centres of Hong Kong, London and Singapore. We also provide a wide range of corporate, trust, compliance, governance and accounting and management services.
As an update to our US FATCA, CDOT and CRS alert, the Cayman Islands Government has issued a further industry alert, confirming that the Automatic Exchange of Information Portal...
Cayman Islands Corporate/Commercial Law
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As an update to our US FATCA, CDOT and CRS alert, the Cayman Islands Government has issued a further industry alert, confirming that the Automatic Exchange of Information Portal (the "AEOI Portal") is now open and a revised AEOI Portal User Guide (the "User Guide") is available.

Notification Obligation: US FATCA and CRS

Cayman Financial Institutions are reminded that US FATCA and CRS Notifications must be completed by 30 June 2017. In order to complete notification obligations under US FATCA and CRS, every Cayman Financial Institution is required to prepare a new letter of authorization based on the DITC template.

Reporting Obligations under US FATCA

Reporting under US FATCA must be completed by 31 July 2017. The US FATCA reporting function is now available on the AEOI Portal.

The DITC has confirmed that Cayman Financial Institutions should not attempt to address any IRS notifications in respect of 2014 and 2015 US FATCA Returns until further guidance is issued from the DITC and that such institutions will not be deemed to be in contravention of their US FATCA obligations when following this instruction. The DITC plans to publish: (i) a revised User Guide to explain how Cayman Financial Institutions must address IRS notifications and (ii) email specific guidance on how to resolve particular types of IRS notifications for 2014 and 2015 US FATCA Returns to the Principal Point of Contact of affected Cayman Financial Institutions.

Reporting Obligations under CRS

Reporting obligations must be completed by 31 July 2017. The CRS reporting function is not currently available on the AEOI Portal.

The DITC will be issuing a further industry advisory in mid-June with details of: (i) a revised version of the User Guide with details on CRS Reporting and (ii) details of when the CRS reporting function will be available on the AEOI Portal.

The content of this article is intended to provide a general guide to the subject matter. Specialist advice should be sought about your specific circumstances.

Further US FATCA And CRS Notification And Reporting Update

Cayman Islands Corporate/Commercial Law
Contributor
Conyers is a leading international law firm with a broad client base including FTSE 100 and Fortune 500 companies, international finance houses and asset managers. The firm advises on Bermuda, British Virgin Islands and Cayman Islands laws, from offices in those jurisdictions and in the key financial centres of Hong Kong, London and Singapore. We also provide a wide range of corporate, trust, compliance, governance and accounting and management services.
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