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"Oldest Swiss private bank is newest U.S. target http://t.co/OP9P0bZg #taxevasion" — GarySWolfe

Qualified Intermediaries – Foreign Recipients of U.S. Source Income

On November 17, 2010, In International Tax Compliance, By admin

Qualified Intermediaries – Foreign Recipients of U.S. Income

Foreign financial institutions that enter into an agreement with the Internal Revenue Service, known as qualified intermediaries (Qls), may serve as withholding agents. If so, they are fully liable for all taxes owed by a foreign beneficial owner and must report the income paid to each recipient on a Form 1042S (filed annually). Without this withholding requirement, there would be no effective way to enforce taxpayer compliance because foreign recipients are generally not required to file U.S. tax returns to report U.S. income.

Nonresident aliens and other foreign persons who earn U.S.-source income are required to report this income on Form 1042-S (Foreign Persons’ U.S.-Source Income Subject to Withholding). This income is subject to a flat, statutory withholding tax rate of 30 percent. However, this rate is frequently reduced or eliminated by an income tax treaty or statutory exemption.

Income that is exempt from taxation because of a tax treaty or certain other exemptions must still be reported. U.S. individuals, corporations, or other entities paying U.S.-source income to foreign persons are required to withhold taxes on this income (except where statutory or treaty exemptions apply) or to appoint a withholding agent (normally a U.S. financial institution).

Tagged with: foreign account • qualified intermediary
 
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FATCA – Qualified Intermediaries and Foreign Investors

On November 2, 2010, In FATCA, International Tax Compliance, By admin

Tagged with: FATCA • foreign investor • IRS Tax Audit • qualified intermediary
 
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FATCA – Qualified Intermediaries and U.S. Investors

On October 29, 2010, In FATCA, International Investors, By admin

Tagged with: FATCA • foreign account • foreign trust • IRS Tax Audit • qualified intermediary
 
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FATCA – U.S. Source Income Received by Foreign Investors

On October 27, 2010, In FATCA, International Investors, By admin

Tagged with: FATCA • foreign account • foreign trust • qualified intermediary
 
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UBS & THE IRS: 4450 U.S. TAXPAYERS 

If you are one of the 4450 U.S. Taxpayers who UBS will disclose to the IRS please ask yourself 3 questions:

1. Did you report the UBS account?
2. Did you report the income from the UBS account?
3. Did you file an FBAR for the UBS account?

If the answer is no to any of these questions, please call 310-274-3116 for a free consultation or email gsw@gswlaw.com

 

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"The power to tax is the power to destroy." Chief Justice John Marshall, in McCulloch v. Maryland, 17 U.S. 316 (Wheat.)(1819)
 

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