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Treasury Official: Payments Under Fixed-Term Revolvers Likely to Qualify for FATCA Exemption

On Friday, January 21, 2011, a Treasury Department official [Itai Grinberg] gave his views on the treatment an important issue under FATCA that affects the PE and VC industries... [Grinberg] stated that he believed that payment obligations under revolving credit agreements outstanding as of March 18...

Treasury Official: Payments Under Fixed-Term Revolvers Likely to Qualify for FATCA Exemption

On Friday, January 21, 2011, a Treasury Department official [Itai Grinberg] gave his views on the treatment an important issue under FATCA that affects the PE and VC industries... [Grinberg] stated that he believed that payment obligations under revolving credit agreements outstanding as of March 18...

More FATCA Reporting Requirements Guidance for FFIs

In April, the IRS issued Notice 2011-34, modifying and supplementing initial guidance provided by Notice 2010-60 on the future reporting, documentation, and withholding requirements for foreign financial institutions (FFIs) that have U.S. accounts. Notice 2011-34, 2011 IRB LEXIS 234 ; Notice 2010-60...

More FATCA Reporting Requirements Guidance for FFIs

In April, the IRS issued Notice 2011-34, modifying and supplementing initial guidance provided by Notice 2010-60 on the future reporting, documentation, and withholding requirements for foreign financial institutions (FFIs) that have U.S. accounts. Notice 2011-34, 2011 IRB LEXIS 234 ; Notice 2010-60...

FATCA (Foreign Account Tax Compliance Act) Proposed Regulations

The most recent proposed Foreign Account Tax Compliance Act (FATCA) regulations are designed to lighten the due diligence and compliance burden on foreign financial institutions and U.S. withholding agents, especially with respect to high value accounts. The Foreign Account Tax Compliance Act (FATCA...