US releases model intergovernmental agreement to fight tax evasion

Please note: This item is from our archives and was published in 2012. It is provided for historical reference. The content may be out of date and links may no longer function.

The US Treasury Department on Thursday released a model intergovernmental agreement designed to implement the information-reporting and withholding-tax provisions in the Foreign Account Tax Compliance Act (FATCA), which was enacted by Congress in 2010 to require foreign financial institutions (FFIs) to report to the government information about financial accounts held by US taxpayers or by foreign entities in which US taxpayers hold a substantial interest.

France, Germany, Italy, Spain, and the United Kingdom all participated in developing the model agreement and have agreed to work, in cooperation with other partner countries, the Organisation for Economic Co-operation and Development, and the European Commission, toward establishing reporting and due diligence standards to fight tax evasion with less burdensome compliance requirements. The five countries also endorsed the model agreement and called for the quick adoption of bilateral agreements based on the model.

Two versions of the agreement were released—a reciprocal one and nonreciprocal one. Both versions establish a framework for financial institutions’ reporting certain financial account information to their tax authorities and address legal issues that complying with FATCA had raised in various countries. 

The reciprocal agreement was drafted to be used only in countries with which the United States has an income tax treaty or information exchange agreement and for which Treasury and the Internal Revenue Service have determined the government has sufficient protections to ensure the information is kept confidential and is used only for tax purposes. The United States will determine which countries qualify on a case-by-case basis.

The reciprocal version of the agreement provides for the United States to exchange information currently collected on accounts in US financial institutions held by partner countries’ residents and also makes a commitment to pursue regulations and support legislation to enable equivalent levels of information exchange by the United States. The nonreciprocal version does not require the United States to provide information on US accounts.

Sally P. Schreiber (sschreiber@aicpa.org) is a CGMA Magazine senior editor.

 

Up Next

Executive turnover slows, but AI strategy remains unclear

By Bryan Strickland
April 8, 2026
A global survey shows that executives aren’t changing jobs nearly as often as they did a year ago, but many are seeking better internal support for strategic objectives built around artificial intelligence.
Advertisement

LATEST STORIES

Executive turnover slows, but AI strategy remains unclear

Despite global job insecurity, some young workers are upbeat

April FM: Assessing your worth, board recruitment, and AI governance

CIMA roundup: Global talent development in focus

Rise2040: Envisioning the future of accounting and finance

Advertisement
Read the latest FM digital edition, exclusively for CIMA members and AICPA members who hold the CGMA designation.
Advertisement

Related Articles

5 ways AI augments the accountant’s role
UK budget: National Insurance rate to increase for employers