The IRS has issued Rev Proc 2020-17, 2020-12 IRB, that
exempts from information reporting requirements certain tax-favored foreign
trusts that are established and operated exclusively or almost exclusively to
provide pension or retirement benefits, or to provide medical, disability, or
educational benefits. The procedure also provides guidance on how to request
abatement, or a refund, of penalties for failure to comply with these
information reporting requirements.
Since the IRC Sec. 6677 penalties no longer apply to eligible individuals who fail to report applicable tax-favored foreign trusts, the IRS has provided such individuals who have been assessed or paid IRC Sec. 6677 penalties within the IRC Sec. 6511(a) limitations period, with procedures for requesting abatement of penalties assessed or refund of penalties paid.
The Rev Proc provide that an “eligible individual’s”
transactions with, or ownership of, an “applicable tax-favored foreign trust”
is exempt from IRC Sec. 6048 information reporting.
Thus, the penalties under IRC Sec. 6677 do not apply to eligible
individuals who fail to report transactions with, or ownership of, these trusts
under IRC Sec 6048.
For purposes of this
revenue procedure:
- An
applicable tax-favored foreign trust means a tax-favored foreign
retirement trust or a tax-favored foreign non-retirement savings trust.
- An
eligible individual means an individual who is, or at any time was, a U.S.
citizen or resident and who is compliant (or comes into compliance) with
all requirements for filing a U.S. federal income tax return (or returns)
covering the period such individual was a U.S. citizen or resident, and to
the extent required under U.S. tax law, has reported as income any
contributions to, earnings of, or distributions from, an applicable
tax-favored foreign trust on the applicable return (including on an
amended return).
- A
tax-favored foreign retirement trust means a foreign trust for U.S. tax
purposes that is created, organized, or otherwise established under the
laws of a foreign jurisdiction (the trust’s jurisdiction) as a trust,
plan, fund, scheme, or other arrangement (collectively, a trust) to
operate exclusively or almost exclusively to provide, or to earn income
for the provision of, pension or retirement benefits and ancillary or
incidental benefits, and that meets certain requirements established by
the laws of the trust’s jurisdiction.
- A
tax-favored foreign non-retirement savings trust means a foreign trust for
U.S. tax purposes that is created, organized, or otherwise established
under the laws of a foreign jurisdiction (the trust’s jurisdiction) as a
trust to operate exclusively or almost exclusively to provide, or to earn
income for the provision of, medical, disability, or educational benefits,
and that meets certain requirements established by the laws of the trust’s
jurisdiction.
Since the IRC Sec. 6677 penalties no longer apply to eligible individuals who fail to report applicable tax-favored foreign trusts, the IRS has provided such individuals who have been assessed or paid IRC Sec. 6677 penalties within the IRC Sec. 6511(a) limitations period, with procedures for requesting abatement of penalties assessed or refund of penalties paid.
An
eligible individual who wishes to request abatement or refund of penalties may
do so by filing Form 843, Claim for Refund and Request for Abatement within
the IRC Sec. 6511(a) limitations period.
Eligible
individuals should complete Form 843 and write the statement “Relief pursuant
to Revenue Procedure 2020-7” on Line 7 of the form.
In
addition, Line 7 should include an explanation of how the individual meets the
definition of “eligible individual” in Sec. 5.02 and how the foreign trust
meets the definition of “applicable foreign trust” in Sec. 5.03 or Sec. 5.04.
A Form
843 requesting relief under this procedure should be mailed to Internal Revenue
Service, Ogden, UT 84201-0027.
Effective
Date.
This
procedure is effective on March 16, 2020 and applies to all prior open tax
years, subject to the limitations period in IRC Sec. 6511.
Have International Tax Reporting Problems?
Contact the Tax Lawyers at
Marini & Associates, P.A.
for a FREE Tax Consultation Contact us at:
Toll Free at 888-8TaxAid (888)882-9243.
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