ARTICLE
22 October 2014

US Treasury Accepts Canadian Guidance Of Investment Entities Under FATCA

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Last week, Brett York, an attorney adviser in the Treasury Office of International Tax Counsel confirmed that the U.S. Treasury is willing to accept Canada's recent guidance.
Canada Corporate/Commercial Law
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Last week, Brett York, an attorney adviser in the Treasury Office of International Tax Counsel confirmed that the U.S. Treasury is willing to accept Canada's recent guidance that only Canadian financial institutions that are "listed financial institutions" for the purposes of Part XVIII of the Income Tax Act would be considered investment entities under the IGA. As we discussed earlier this year, the Canada Revenue Agency's guidance for Canadian entities took effect on July 1.

Under the wording of the IGA, the definition of "investment entity" is to be interpreted in a manner consistent with the definition of "financial institution" in the recommendations of Canada's Financial Action Task Force, with the result that most personal investment companies and trusts will not be considered to be financial institutions required to report U.S.-owned accounts to the Internal Revenue Service under FATCA.

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ARTICLE
22 October 2014

US Treasury Accepts Canadian Guidance Of Investment Entities Under FATCA

Canada Corporate/Commercial Law

Contributor

Stikeman Elliott LLP logo
Stikeman Elliott is a global leader in Canadian business law and the first call for businesses working in and with Canada. We provide clients with the highest quality counsel, strategic advice, and creative solutions. Stikeman Elliott consistently ranks as a top law firm in our primary practice areas. www.stikeman.com
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