Search

images/slider/lisbon_3.jpg
 

Serving Clients Throughout Europe and Worldwide

  • FATCA, QI & CRS support
  • Due diligence, reporting and internal compliance
Contact Us

US Tax Filing Service

QI Solutions has been providing IRS electronic outsourcing services to clients since 2011.
We can simplify your QI and FATCA 8966 reporting. Contact QI Solutions for a free, no obligation proposal.

EFTPS®


EFTPS® authorized batch provider. We can make IRS tax payments on your behalf, payments usually settled in 2 - 3 business days.
Read More

FATCA


With FATCA in full effect, we are assisting industry leading private banks, assest managers implement compliance and verification systems.
Read More

Internal Compliance


Assisting QIs to implement the QI Internal Compliance and Review Program to insure sucessful initial certification of compliance.

IRS Reporting


Complete 1042-S, 1099, 8966 and FATCA XML solutions.
Read More

We specialize in 1042-S, 1099 and 8966 FATCA Report outsourcing.

The IRS issues transitory relief for Model 1 IGA FFIs that do not have TINs for pre-existing US clients

On September 25, 2017 the IRS released Notice 2017-46 that provides transitory relief for Model 1 IGA FFIs that do not hold a US TIN in relation to FATCA reportable accounts of pre-existing clients, including US specified persons and controlling persons. The Model 1 IGA generally requires FFIs to obtain a US TIN from pre-existing US clients before January 1, 2017, and starting with the FATCA reporting for the 2017 tax year a US TIN must be reported.

Many FFIs are concerned that the inability to obtain US TINs from pre-existing US clients may result in a finding of significant non-compliance with the IGA requirement by the IRS. To address this issue, the transitory relief in Notice 2017-46 provides that FFIs will not be considered non-compliant in case: 1) the FFI reports the client’s date of birth in the FATCA report (for individuals), 2) the FFI requests a US TIN from affected clients annually, and 3) prior to performing FATCA reporting for the 2017 tax year the FFI searches its electronic records for the missing US TINs. This transitional relief applies to calendar years 2017, 2018 and 2019.

Model I IGA FFIs that do not have US TINs for FATCA reportable clients should implement policies and procedures in 2017 in order to meet the provisions of this transitory relief.

pdf NOTICE 2017-46 (63 KB)