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New Prop. Regs. on bank-deposit interest paid to NRAs.


In 2002, the IRS An abbreviation for the Internal Revenue Service, a federal agency charged with the responsibility of administering and enforcing internal revenue laws.  proposed new regulations (REG-133254-02) under Sec. 6049, replacing previously proposed regulations (REG-126100-00) that, in general, would have required financial institutions to report annually to the IRS all U.S. bank-deposit interest paid to any nonresident non·res·i·dent  
adj.
1. Not living in a particular place: nonresident students who commute to classes.

2.
 alien (NRA NRA

(National Rifle Association of America) organization that encourages sharpshooting and use of firearms for hunting. [Am. Pop. Culture: NCE, 1895]

See : Hunting
). Under current Regs. Sec. 1.6049-8(a), U.S. banks are required to report only U.S. bank-deposit interest paid to a U.S. person or a NRA resident in Canada.

In its explanation of the 2002 proposed regulations, the IRS concluded that the prior proposed regulations were overly broad in requiring annual information reporting for U.S. bank-deposit interest paid to any NRA. The 2002 version of Prop. Regs. Sec. 1.6049-8(a) would require additional reporting of such interest paid to residents of Australia, Denmark, Finland, France, Germany, Greece, Ireland, Italy, the Netherlands, New Zealand New Zealand (zē`lənd), island country (2005 est. pop. 4,035,000), 104,454 sq mi (270,534 sq km), in the S Pacific Ocean, over 1,000 mi (1,600 km) SE of Australia. The capital is Wellington; the largest city and leading port is Auckland. , Norway, Portugal, Spain, Sweden and the U.K. Payors may, at their option, choose to report U.S. bank-deposit interest paid to all NRAs or to any NKA NKA
abbr.
no known allergies
 resident in a country other than those listed.

In most other respects, the 2002 proposed regulations generally follow the approach of the prior proposed regulations. Specifically, they require the payor of U. S. bank-deposit interest to provide a copy of Form 1042-S, Foreign Person's U.S. Source Income Subject to Withholding Withholding

Any tax that is taken directly out of an individual's wages or other income before he or she receives the funds.

Notes:
In other words, these funds are "withheld" from your wages.
, to an interest recipient who is resident in a country for which reporting is required. In addition, like the 2001 proposed regulations, the 2002 regulations provide that, if a joint account holder is a U.S. nonexempt recipient, the payor or middleman mid·dle·man  
n.
1. A trader who buys from producers and sells to retailers or consumers.

2. An intermediary; a go-between.
 must report the entire payment to that person. However, if all joint account holders are foreign persons, reporting is required to any one of the joint account holders resident in one of the listed countries.

Finally, the 2002 proposed regulations, like the 2001 proposed regulations, eliminate the Regs. Sec. 1.60498(a) "actual knowledge of the individual's residence address" rule, because it creates a result contrary to the presumption A conclusion made as to the existence or nonexistence of a fact that must be drawn from other evidence that is admitted and proven to be true. A Rule of Law.

If certain facts are established, a judge or jury must assume another fact that the law recognizes as a logical
 rules of Regs. Sec. 1.1441-1(b)(3)(iii), which generally provides that interest on a U.S. bank deposit that cannot reliably be associated with a valid FormW-8 or Form W-9, Request for Taxpayer Identification Number and Certification, must be presumed to be paid to an undocumented U.S. nonexempt recipient. The 2002 version of Prop. Regs. Sec. 1.6049-8(a) clarifies that a payor of interest on such a deposit must report the payment on Form 1099 as made to a U.S. nonexempt resident and subject it to backup withholding backup withholding

Compulsory withholding from payments to an investor in order to take care of a potential tax liability. Payments of interest, dividends, and proceeds from a sale of securities are subject to backup withholding when certain requirements are
.

The 2002 proposed regulations would be effective for payments made after December 31 of the year final regulations are published. Many parties (including senators and representatives from both sides of the aisle) are pressing Treasury to withdraw the regulations, because (1) the U.S. has no tax interest in adopting this rule and (2) implementation of this rule would reduce investment in the U.S.

FROM CAROL DORAN KLEIN, J.D., WASHINGTON, DC
COPYRIGHT 2003 American Institute of CPA's
No portion of this article can be reproduced without the express written permission from the copyright holder.
Copyright 2003, Gale Group. All rights reserved. Gale Group is a Thomson Corporation Company.

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Title Annotation:nonresident aliens
Author:Sair, Edward A.
Publication:The Tax Adviser
Date:Mar 1, 2003
Words:494
Previous Article:Excess capital losses.(exempt organizations)
Next Article:Sec. 894 final rules for recharacterizing deductible payments.
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