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US withholding tax : = practical imp...
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McGill, Ross, (1955-)
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US withholding tax : = practical implications of QI and FATCA /
Record Type:
Electronic resources : Monograph/item
Title/Author:
US withholding tax :/ Ross K. McGill.
Reminder of title:
practical implications of QI and FATCA /
Author:
McGill, Ross,
Description:
1 online resource.
[NT 15003449]:
PART I: THE QI REGULATIONS -- 1.Principles of Code Chapter 3 -- 2.QI Contracts -- 3.Documentation -- 4.Withholding, Depositing and Refunding Tax -- 5.Information Reporting -- 6.Control and Oversight -- 7.Penalties -- 8.Issues for NQIs -- PART II: FATCA -- 9.Moral Outrage and Righteous Indignation -- 10. Principles of FATCA -- 11. Simplifying FATCA -- 12. Identification and Documentation -- 13. Reporting -- 14. FATCA Withholding -- 15. FATCA Accreditation -- PART III: Related Global Tax Initiatives -- 16. OECD -- 17. European Union.
Subject:
Withholding tax - Law and legislation - United States. -
Online resource:
http://link.springer.com/10.1057/9781137317308
ISBN:
1137317302 (electronic bk.)
US withholding tax : = practical implications of QI and FATCA /
McGill, Ross,1955-
US withholding tax :
practical implications of QI and FATCA /Ross K. McGill. - 1 online resource. - Global financial markets. - Global financial markets..
PART I: THE QI REGULATIONS -- 1.Principles of Code Chapter 3 -- 2.QI Contracts -- 3.Documentation -- 4.Withholding, Depositing and Refunding Tax -- 5.Information Reporting -- 6.Control and Oversight -- 7.Penalties -- 8.Issues for NQIs -- PART II: FATCA -- 9.Moral Outrage and Righteous Indignation -- 10. Principles of FATCA -- 11. Simplifying FATCA -- 12. Identification and Documentation -- 13. Reporting -- 14. FATCA Withholding -- 15. FATCA Accreditation -- PART III: Related Global Tax Initiatives -- 16. OECD -- 17. European Union.
The United States of America is the largest securities and capital market in the world attracting inward investment of several trillion dollars a year from over two hundred countries. Receipt of US sourced investment income by non-US investors is subject to strict US withholding tax regulations ₆ Internal Revenue Code (IRC) Chapter 3 which control how income and withheld tax paid to non-US recipients is calculated, withheld and reported. US resident investors themselves are also some of the most active in outbound investment into the world's other major markets. The US claims the right to tax the global income of its citizens and so income derived from such outbound investment must be disclosed to the IRS. However, failure by some Americans to disclose their offshore assets has led to some recent high profile cases of tax evasion and the subsequent regulation of non-US financial institutions by the US government in IRC Chapter 4, also known as 'FATCA'. FATCA requires all non-US financial institutions to meet strict due diligence rules to identify and report accounts substantially owned by or effectively controlled by Americans - or suffer serious financial penalties. As with any regulations, the challenge for industry is to efficiently translate regulation into workable operational practices. This book gives practical insights into the day to day challenges that both sets of these regulations present for non-US financial institutions as well as those who provide support services to them. For those intermediary firms receiving US sourced income on behalf of non-US investors under IRC Chapter 3, awareness of the consequences of their status as qualified intermediaries (QIs) or non-qualified intermediaries (NQIs) is absolutely critical, yet rarely fully understood. While only around 35,000 firms globally are affected by IRC Chapter 3, over a million firms are expected to be impacted by FATCA as the IRS has widened its definition of 'financial intermediary' to include most pooled investment vehicles. This book includes both commentary on the key aspects of FATCA that will affect FFIs and NFFEs as well as appendices of the important reference documents. As the worlds of withholding tax and tax evasion deterrence converge, many countries are seeking to review, improve and simplify the US model. This book includes an update on the important work done in this area by the OECD and European Commission including standards and automation initiatives.
ISBN: 1137317302 (electronic bk.)
Source: 547516Palgrave Macmillanhttp://www.palgraveconnect.comSubjects--Topical Terms:
2076553
Withholding tax
--Law and legislation--United States.Index Terms--Genre/Form:
542853
Electronic books.
LC Class. No.: KF6436
Dewey Class. No.: 343.73052424
US withholding tax : = practical implications of QI and FATCA /
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PART I: THE QI REGULATIONS -- 1.Principles of Code Chapter 3 -- 2.QI Contracts -- 3.Documentation -- 4.Withholding, Depositing and Refunding Tax -- 5.Information Reporting -- 6.Control and Oversight -- 7.Penalties -- 8.Issues for NQIs -- PART II: FATCA -- 9.Moral Outrage and Righteous Indignation -- 10. Principles of FATCA -- 11. Simplifying FATCA -- 12. Identification and Documentation -- 13. Reporting -- 14. FATCA Withholding -- 15. FATCA Accreditation -- PART III: Related Global Tax Initiatives -- 16. OECD -- 17. European Union.
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The United States of America is the largest securities and capital market in the world attracting inward investment of several trillion dollars a year from over two hundred countries. Receipt of US sourced investment income by non-US investors is subject to strict US withholding tax regulations ₆ Internal Revenue Code (IRC) Chapter 3 which control how income and withheld tax paid to non-US recipients is calculated, withheld and reported. US resident investors themselves are also some of the most active in outbound investment into the world's other major markets. The US claims the right to tax the global income of its citizens and so income derived from such outbound investment must be disclosed to the IRS. However, failure by some Americans to disclose their offshore assets has led to some recent high profile cases of tax evasion and the subsequent regulation of non-US financial institutions by the US government in IRC Chapter 4, also known as 'FATCA'. FATCA requires all non-US financial institutions to meet strict due diligence rules to identify and report accounts substantially owned by or effectively controlled by Americans - or suffer serious financial penalties. As with any regulations, the challenge for industry is to efficiently translate regulation into workable operational practices. This book gives practical insights into the day to day challenges that both sets of these regulations present for non-US financial institutions as well as those who provide support services to them. For those intermediary firms receiving US sourced income on behalf of non-US investors under IRC Chapter 3, awareness of the consequences of their status as qualified intermediaries (QIs) or non-qualified intermediaries (NQIs) is absolutely critical, yet rarely fully understood. While only around 35,000 firms globally are affected by IRC Chapter 3, over a million firms are expected to be impacted by FATCA as the IRS has widened its definition of 'financial intermediary' to include most pooled investment vehicles. This book includes both commentary on the key aspects of FATCA that will affect FFIs and NFFEs as well as appendices of the important reference documents. As the worlds of withholding tax and tax evasion deterrence converge, many countries are seeking to review, improve and simplify the US model. This book includes an update on the important work done in this area by the OECD and European Commission including standards and automation initiatives.
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http://link.springer.com/10.1057/9781137317308
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