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U.S. reporting requirements for Canadian RRSPs/RRIFs.


As requested by the AICPA AICPA

See American Institute of Certified Public Accountants (AICPA).
 Tax Division's Form 3520 Task Force in August 2003, (1) Notice 2003-75 (2) sets forth a simplified reporting regime for taxpayers with interests in Canadian registered retirement savings plans Registered Retirement Savings Plan (RRSP)

Tax-sheltered retirement plan for Canadian citizens, much like an American IRA.
 (RRSPs) and registered retirement income funds A Registered Retirement Income Fund or RRIF is a tax-deferred retirement plan under Canadian tax law. Individuals use an RRIF to generate income from the savings accumulated under their Registered Retirement Savings Plan.  (RRIFs), effective for tax years beginning after 2002.

A Canadian RRSP See Registered Retirement Savings Plan.

RRSP

See registered retirement savings plan (RRSP).
 is similar to a Sec. 401(k) plan. Canadian employers often contribute on a tax-deferred basis to an account in an employee's name. The difference is that current-year earnings of an RRSP or RRIF RRIF Registered Retirement Income Fund
RRIF Regulation Reduction Incentive Fund (Australian government)
RRIF Registered Retirement Investment Fund (Canada) 
 need to be reported to be spoken of; to be mentioned, whether favorably or unfavorably.

See also: Report
 on Form 1040, unless an affirmative election is made to defer tax until funds are distributed.

Scope

This reporting regime is in lieu of filing obligations under Sec. 6048 (Forms 3520, Annual Return To Report Transactions With Foreign Trusts and Receipt of Certain Foreign Gifts, and 3520-A, Annual Information Return of Foreign Trust With a U.S. Owner) that otherwise apply to U.S. citizens and resident aliens with interests in RRSPs and RRIFs and to custodians of such plans.

Notice 2003-75 discusses a new form being developed under the authority of Sec. 6001, which U.S. citizens and resident aliens with RRSP and RRIF interests will have to attach to Form 1040. The new form will coordinate the reporting rules for electing under Article XVIII(7), Pensions and Annuities, of the U.S.-Canada income tax treaty, to defer U.S. income taxation of income accrued in an RRSP or RRIF. Interim reporting rules are set forth in Rev. Proc. 2002-23, (3) Section 4. On Aug. 26, 2004, the IRS An abbreviation for the Internal Revenue Service, a federal agency charged with the responsibility of administering and enforcing internal revenue laws.  issued a draft Form 8891, U.S. Information Return for Beneficiaries of Certain Canadian Registered Retirement Plans. At press time, the Service was still reviewing the comments received and had not yet released the final form and instructions.

Rules

For current-year undistributed Adj. 1. undistributed - (of investments) not distributed among a variety of securities
undiversified - not diversified
 earnings (i.e., interest, dividends or capital gains), one can either (1) report income currently on Form 1040, Schedule B or D or (2) elect to defer reporting income until funds are distributed to the account holder. The election is made by attaching a statement to the return containing information prescribed in Rev. Proc. 2002-23, Section 4 and Notice 2003-75, Section 2.02.

Section 2.03 of Notice 2003-75 sets forth additional interim disclosure requirements for beneficiaries not electing to defer Federal income tax on current-year undistributed earnings. Section 2.04 describes the interim reporting rules for annuitants of RRSPs and RRIFs.

The recipient U.S. citizen or resident must report the total and taxable amounts (as determined under Sec. 72) of any distribution made from an RRSP or RRIF during the tax year on Form 1040, lines 16a and 16b, respectively.

Complete distribution: An entire distribution from an RRSP to a participant qualifies for special lump-sum distribution Lump-Sum Distribution

A one time payment for the entire amount due, rather than breaking payments into smaller installments. Some lump-sum distributions receive special tax treatment.
 treatment if the participant was born before 1936. The U.S.-Canada income tax treaty sets forth a preferential income tax rate on periodic pension payments, not to exceed 15% at the Federal level, per Article XVIII(2(a)). However, this provision does not apply to lump-sum distributions; it applies only to periodic pension payments.

No early withdrawal penalty: Even if the recipient is under age 59 1/2, the Sec. 72(t) 10% early withdrawal penalty does not apply. This is disclosed by attaching to Form 5329, Additional Taxes on Qualified Plans (Including IRAs) and Other Tax-Favored Accounts, a statement that the distribution is not subject to the Sec. 72(t) 10% early withdrawal penalty, because it was made from other than a U.S. qualified plan (as defined in Sec. 4974(c)); the distribution was made from a foreign, Canadian, RRSP.

Canadian Law

Canada Customs and Revenue Agency Canada Customs and Revenue Agency was a department of the government of Canada. It split up into:
  • Canada Border Services Agency
  • Canada Revenue Agency
 statute requires an RRSP to withhold 25% of the gross distribution at source. Similar to Form 1099-R Form 1099-R

A IRS form with which an individual reports his or her distributions from annuities, profit-sharing plans, retirement plans, IRAs, insurance contracts and/or pensions.
, Distributions From Pensions, Annuities, Retirement or Profit-Sharing Plans, IRAs, Insurance Contracts, etc., Canadian Form NR4 (Summary, Return of Amounts Paid or Credited to Non-Residents of Canada), code 43 (lump-sum distribution) discloses in Canadian currency both the gross distribution and the amount withheld. These amounts need to be converted to U.S. dollars as of the distribution date. The tax withheld is eligible for the foreign tax credit computed on Form 1116, Foreign Tax Credit.

Also, an individual's Canadian income tax liability needs to be computed to determine whether there is a refund due the taxpayer or additional tax due Canada. If tax is owed, it may be possible to elect under Canadian Income Tax Act section 217 to file a Canadian return and report the Canadian-source income. The taxpayer will pay tax on the income under an alternative taxing method. If the tax has been overpaid o·ver·pay  
v. o·ver·paid , o·ver·pay·ing, o·ver·pays

v.tr.
1. To pay (a party) too much.

2. To pay an amount in excess of (a sum due).

v.intr.
To pay too much.
, a refund claim may be filed.

(1) See "AICPA Comments on the Foreign Trust Reporting Rules for Forms 3520 and 3520-A," available at www.cpa2biz.com/ResourceCenters/Tax/International/foreigntrust.htm.

(2) Notice 2003-75, IRB IRB

See: Industrial Revenue Bond
 2003-50, 1204, superseding superseding

taking over a case of a patient under treatment by another veterinarian. In general terms this is poor professional etiquette unless the other veterinarian has been consulted and agrees to the change.
 Notices 2003-57, IRB 2003-34, 397; 2003-25, IRB 2003-18,855; and 97-34, 1997-1 CB 422, Section II.E.

(3) Rev. Proc. 2002-23, IRB 2002-1 CB 744.

By Neil A.J. Sullivan, CPA, Scarsdale, NY, Member, AICPA Tax Division's Tax Legislation and Policy Committee, International Tax Technical Resource Panel's (TRP's) International Reporting Requirements Task Force and Trust, Estate and Gift Tax TRP's Expatriation Tax Task Force
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Title Annotation:registered retirement savings plans, registered retirement income funds
Author:Sullivan, Neil A.J.
Publication:The Tax Adviser
Date:Mar 1, 2005
Words:875
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