MFAs letter to the IRS advance notice on implementation of FATCA.
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Letter to the IRS on Advance Notice of Implementation of FATCA11.01.10
MFAs letter to the IRS advance notice on implementation of FATCA.
Topics: information reporting withholding, documentation requirements, Anti-tax Evasion, Treasury, Internal Revenue Service, IRS, U.S. Tax Enforcement, Administrative Burdens, foreign financial institutions, FFIs, U.S. Tax Obligations, private investment funds, hedge funds, Foreign Investors, Withholding Tax, Withholdable Payments, due diligence, Withholding Responsibilities, Non-Financial Foreign Entities, NFFE, U.S. Capital Markets, Fund Sponsors, U.S. Securities Laws, Public Offerings, Broad Distributions of Interests, Limited Offering, Offshore Private Investment Funds, pension fund, Tax-exempt Entity, non-U.S. Private Investment Fund, Passive Foreign Investment Companies, PFICs, Tax Jurisdictions, Double Taxation, Cayman Islands, Tax Information Exchange Agreement, Subscription Agreement, Client Identity, Partnership Interest, commodities, futures, forward contract, option, mutual fund, funds of funds, exchange-traded funds, hedge fund, private equity fund, Venture Capital Fund, Managed Fund, commodity pool, Investment Vehicle, Exemptive Authority, Joint Committee on Taxation, JCT, Transfer Agent, Tailored Agreement, United States Owned Foreign Entity, Passthru Payments, Deferred Fees, Business of Investing, Waiver of Secrecy, Lock-up,