Taking into consideration the newly proposed U.S. Regulations all Foreign Financial Institutions (“FFIs”) will need to comply with the Foreign Account Tax Compliance Act (“FATCA”). In accordance to FATCA we as an FFI are required to disclose information in relation to our US reportable persons.
All US reportable persons will need to notify the FFI accordingly, so as to be able to comply with the FATCA regulations.
Definition of US reportable person:
Any trust if:
Please go through the declaration below to provide your agreement or not:
CRS Reportable Persons
Regulations based on the OECD Common Reporting Standard (“CRS”) require V7 Markets Limited to collect and report certain information about an account holder’s tax residence. Each jurisdiction has its own rules for defining tax residence. In general, you will find that tax residence is the country/jurisdiction in which you live. Special circumstances may cause you to be resident elsewhere or resident in more than one country/jurisdiction at the same time (dual residency). If you are a U.S. citizen or tax resident under U.S. law, you will go through the Declaration here above,
If your tax residence (or the account holder, if you are completing the form on their behalf) is located outside US, we may be legally obliged to pass on the information in this form and other financial information with respect to your financial accounts the tax authorities in Cyprus and they may exchange this information with tax authorities of another jurisdiction or jurisdictions pursuant to intergovernmental agreements to exchange financial account information. As a financial institution, we are not allowed to give tax advice. Your tax adviser may be able to assist you in answering specific questions on this form. Your domestic tax authority can provide guidance regarding how to determine your tax status.
If a TIN is unavailable please provide the appropriate reason A, B or C where indicated below.
You can also find out more, including a list of jurisdictions that have signed agreements to automatically exchange information, along with details about the information being requested, on the OECD automatic exchange of information portal.
Please find here below an example how the form should be completed.
COUNTRY/JURISDICTION OF TAX RESIDENCE TIN IF NO TIN AVAILABLE ENTER REASON A, B OR C
|3 United Arab Emirates||B|
Please explain in the following boxes why you are unable to obtain a TIN if you selected Reason B above.
Reason A - The country/jurisdiction where the Account Holder is resident does not issue TINs to its residents
Reason B - The Account Holder is otherwise unable to obtain a TIN or equivalent number (Please explain why you are unable to obtain a TIN in the below table if you have selected this reason)
Reason C - No TIN is required. (Note) Only select this reason if the domestic law of the relevant jurisdiction does not require the collection of the TIN issued by such jurisdiction)
In case you are in agreement with the above declaration, thank you for your time and assistance in this process, you are now one step closer to proceeding in trading with our Company.