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Circular/Fragmented ownership structures and the CRS/FATCA?

forbidd3nknowl3dg3

Active Member
May 20, 2022
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Hey OffshoreCorpTalk :)

This is my first post (apart from my introduction) and I thought I'd kick things off by asking a question I've been wondering about for awhile now.

I've read that the CRS defines a 'reportable person' of a passive non-financial entity as a natural person who owns 25% or more of the entity's shares. But what happens when one employs circular/fragmented ownership structures to maintain control over a specific entity while technically owning less than 25% of the entity's shares? To anyone's knowledge, does the CRS/FATCA have a way to look through circular/fragmented ownership structures? Or is this a viable way to get around AEOI?
 
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Thanks for the article JohnnyDoe! I'll give it a read tomorrow.

Nominees are an interesting topic as well, although I know very little about the CRS/FATCA procedures for looking through nominees to the UBO. Can you speak to the effectiveness of nominees to avoid CRS/FATCA reporting? The concept of a nominee is so simple and yet its hard to see how banks can prevent themselves from being fooled in the overwhelming majority of cases. I don't see what the ideal solution for banks is when confronting nominees designed to hide the UBO.