IRS Updates Countries on Tax Data Exchange List
Rev. Proc. 2022-35; 2022-40 IRB 270
- Institutional AuthorsInternal Revenue Service
- Code Sections
- Subject Areas/Tax Topics
- Jurisdictions
- Tax Analysts Document Number2022-30742
- Tax Analysts Electronic Citation2022 TNTF 184-232022 TNTI 184-192022 TNTG 184-182022 TPR 39-10
Superseded by Rev. Proc. 2023-36
Supersedes Rev. Proc. 2021-32
Updated Lists of Jurisdictions Under Deposit Interest Rules
26 CFR 601.601: Rules and regulations
(Also Part 1, §§ 6049; 1.6049-4, 1.6049-8)
SECTION 1. PURPOSE
This revenue procedure provides a list of the jurisdictions with which the United States has in effect a relevant information exchange agreement such that the reporting requirement of §§ 1.6049-4(b)(5) and 1.6049-8(a) of the Income Tax Regulations may apply with respect to certain deposit interest paid to residents of such jurisdictions.
This revenue procedure also provides a list of the jurisdictions with which the Department of the Treasury (Treasury Department) and the Internal Revenue Service (IRS) have determined that it is appropriate to have an automatic exchange relationship with respect to the information collected under §§ 1.6049-4(b)(5) and 1.6049-8(a).
These lists are updated and restated versions of those set forth in Rev. Proc. 2021-32, 2021-42 I.R.B. 465. Turkey has been added in Section 4 of this revenue procedure to the list of jurisdictions with which the Treasury Department and the IRS have determined that it is appropriate to have an automatic exchange relationship.
SECTION 2. BACKGROUND
Sections 1.6049-4(b)(5) and 1.6049-8(a), as revised by TD 9584, 2012-20 I.R.B. 900, require the reporting of certain deposit interest paid to nonresident alien individuals on or after January 1, 2013. Section 1.6049-4(b)(5) provides that in the case of interest aggregating $10 or more paid to a nonresident alien individual (as defined in section 7701(b)(1)(B)) that is reportable under § 1.6049-8(a), the payor is required to make an information return on Form 1042-S, Foreign Person's U.S. Source Income Subject to Withholding, for the calendar year in which the interest is paid.
Interest that is reportable under § 1.6049-8(a) is interest described in section 871(i)(2)(A) that relates to a deposit maintained at an office within the United States. The regulations also provide that such deposit interest is reportable only if paid to a resident of a jurisdiction that is identified as a jurisdiction with which the United States has in effect an income tax or other convention or bilateral agreement relating to the exchange of tax information within the meaning of section 6103(k)(4), under which the competent authority is the Secretary of the Treasury or the Secretary's delegate and the United States agrees to provide, as well as receive, information. Finally, the regulations provide that jurisdictions are so identified in an applicable revenue procedure (see § 601.601(d)(2)) as of December 31 before the calendar year in which the interest is paid. The preamble to the regulations (at 2012-20 I.R.B. 901-02) notes that the IRS will not exchange information with another jurisdiction, even if an information exchange agreement is in effect, if there are concerns about confidentiality, safeguarding of data exchanged, the use of the information, or other factors that would make the exchange of information inappropriate.
Rev. Proc. 2012-24, 2012-20 I.R.B. 913, was published contemporaneously with the publication of TD 9584 to provide a list of those jurisdictions with which the United States has in effect an information exchange agreement, such that interest paid to residents of such jurisdictions must be reported by payors to the extent required under §§ 1.6049-4(b)(5) and 1.6049-8(a), and to provide a separate list identifying those jurisdictions with which the automatic exchange of the information collected under the regulations has been determined by the Treasury Department and the IRS to be appropriate. Before issuance of this Rev. Proc. 2022-35, the most current versions of those lists were set forth in Rev. Proc. 2021-32.
SECTION 3. JURISDICTIONS OF RESIDENCE WITH RESPECT TO WHICH THE DEPOSIT INTEREST REPORTING REQUIREMENT APPLIES
The following are the jurisdictions with which the United States has in effect an income tax or other convention or bilateral agreement relating to the exchange of tax information within the meaning of section 6103(k)(4) pursuant to which the United States agrees to provide, as well as receive, information and under which the competent authority is the Secretary of the Treasury or the Secretary's delegate:
Jurisdiction | Rev. Proc. First Identifying Jurisdiction |
---|---|
Antigua & Barbuda | |
Argentina | |
Aruba | |
Australia | |
Austria | |
Azerbaijan | |
Bangladesh | |
Barbados | |
Belgium | |
Bermuda | |
Brazil | |
British Virgin Islands | |
Bulgaria | |
Canada | |
Cayman Islands | |
Chile | |
China | |
Colombia | |
Costa Rica | |
Croatia | |
Curaçao | |
Cyprus | |
Czech Republic | |
Denmark | |
Dominica | |
Dominican Republic | |
Egypt | |
Estonia | |
Faroe Islands | |
Finland | |
France | |
Georgia | |
Germany | |
Gibraltar | |
Greece | |
Greenland | |
Grenada | |
Guernsey | |
Guyana | |
Honduras | |
Hong Kong | |
Hungary | |
Iceland | |
India | |
Indonesia | |
Ireland | |
Isle of Man | |
Israel | |
Italy | |
Jamaica | |
Japan | |
Jersey | |
Kazakhstan | |
Korea, Republic of | |
Latvia | |
Liechtenstein | |
Lithuania | |
Luxembourg | |
Malta | |
Marshall Islands | |
Mauritius | |
Mexico | 2012-64 |
Moldova | |
Monaco | |
Morocco | |
Netherlands | |
Netherlands special municipalities: Bonaire, Sint Eustatius, and Saba | |
New Zealand | |
Norway | |
Pakistan | |
Panama | |
Peru | |
Philippines | |
Poland | |
Portugal | |
Romania | |
Russian Federation | |
Saint Lucia | |
Singapore | |
Sint Maarten | |
Slovak Republic | |
Slovenia | |
South Africa | |
Spain | |
Sri Lanka | |
Sweden | |
Switzerland | |
Thailand | |
Trinidad and Tobago | |
Tunisia | |
Turkey | |
Ukraine | |
United Kingdom | |
Venezuela |
SECTION 4. JURISDICTIONS WITH WHICH THE TREASURY DEPARTMENT AND THE IRS HAVE DETERMINED THAT AUTOMATIC EXCHANGE OF DEPOSIT INTEREST INFORMATION IS APPROPRIATE
The following list identifies the jurisdictions with which the automatic exchange of the information collected under §§ 1.6049-4(b)(5) and 1.6049-8 has been determined by the Treasury Department and the IRS to be appropriate:
Jurisdiction | Rev. Proc. First Memorializing Determination on Automatic Exchange with Jurisdiction |
---|---|
Australia | |
Azerbaijan | |
Belgium | |
Brazil | |
Canada | |
Colombia | |
Croatia | |
Curaçao | |
Cyprus | |
Czech Republic | |
Denmark | |
Dominican Republic | |
Estonia | |
Finland | |
France | |
Germany | |
Gibraltar | |
Greece | |
Guernsey | |
Hungary | |
Iceland | |
India | |
Ireland | |
Isle of Man | |
Israel | |
Italy | |
Jamaica | |
Jersey | |
Korea, Republic of | |
Latvia | |
Liechtenstein | |
Lithuania | |
Luxembourg | |
Malta | |
Mauritius | |
Mexico | |
Netherlands | |
New Zealand | |
Norway | |
Panama | |
Poland | |
Portugal | |
Saint Lucia | |
Singapore | |
Slovak Republic | |
Slovenia | |
South Africa | |
Spain | |
Sweden | |
Turkey | 2022-35 |
United Kingdom |
SECTION 5. EFFECT ON OTHER DOCUMENTS
Rev. Proc. 2021-32 is superseded.
SECTION 6. EFFECTIVE DATES
For purposes of the reporting requirement of § 1.6049-4(b)(5), the list of jurisdictions in Section 3 of this revenue procedure is effective for interest paid on or after January 1 of the calendar year following the issuance of the revenue procedure (as cited in Section 3) first identifying the jurisdiction as having in effect an agreement with the United States as described in § 1.6049-8(a).
The list of jurisdictions in Section 4 of this revenue procedure is effective from the date of issuance of this revenue procedure with respect to information reported to the IRS pursuant to §§ 1.6049-4(b)(5) and 1.6049-8(a) for any tax year for which the jurisdiction was included in the list in Section 3. The revenue procedure citations in the Section 4 list are included for historical reference.
SECTION 7. DRAFTING INFORMATION
The principal author of this revenue procedure is Michelle R. Phillips of the Office of Associate Chief Counsel (International). For further information regarding this revenue procedure, contact Ms. Phillips at (202) 317-4382 (not a toll-free call).
- Institutional AuthorsInternal Revenue Service
- Code Sections
- Subject Areas/Tax Topics
- Jurisdictions
- Tax Analysts Document Number2022-30742
- Tax Analysts Electronic Citation2022 TNTF 184-232022 TNTI 184-192022 TNTG 184-182022 TPR 39-10