US IRS updates FATCA FAQ on FFI self-certification

A new frequently asked question (FAQ) was posted to the US IRS’s FATCA website on February 2 in the “General Compliance” category, as follows:

Q: If a Reporting Model 1 FFI or a Reporting Model 2 FFI that is applying the due diligence procedures in section III, paragraph B, of Annex I of the IGA cannot obtain a self-certification upon the opening of a New Individual Account, can the FFI open the account and treat it as a U.S. Reportable Account?

A: No.  Pursuant to section III, paragraph B, of Annex I of the IGA, the FFI must obtain a self-certification at account opening.  If the FFI cannot obtain a self-certification at account opening, it cannot open the account.

See:

Be the first to comment

Leave a Reply

Your email address will not be published.