Top 5 quality challenges affecting FATCA compliance
Dont Lose Sleep Over Fatca Compliance
Impact of FATCA on financial institutions
The incidence of US citizens holding unreported financial assets overseas is increasing. With the objective of plugging this leak in tax revenue, the US government has enacted the Foreign Account Tax Compliance Act (“FATCA”), which puts the onus on Foreign Financial Institutions (FFIs) and Non-Financial Foreign Entities (NFFEs) to report to the IRS details of financial assets held by US tax payers or foreign entities in which US taxpayers hold a substantial ownership interest. Specifically:
- FFIs must report certain information about US account holders to the IRS either directly or through the home country tax authority of the FFI’s; and
- NFFEs must disclose the identity of their US owners to the IRS.
Mindtree can help you with your FATCA compliance program
As a company that offers both, FATCA point solution and professional services, Mindtree can assist you across different stages of your FATCA compliance program by providing:
- Business impact analysis and assessment
- Gap analysis
- Program management
- Solution implementation
- Application development
- System integration testing
Non-compliance with FATCA will be costly for FFIs, NFFEs and recalcitrant account holders
The law requires 30% of payments made to “non-participating” FFIs, NFFEs and recalcitrant account holders to be withheld. Apart from the obvious financial loss to FFIs and NFFEs, non-compliance can also harm their reputation. Participating FFIs must also be prepared to withhold 30% of certain “pass-through payments” to non-participating FFIs, NFFEs and recalcitrant account holders.
Achieving FATCA compliance can be a serious challenge
For FFIs and NFFEs, the journey to becoming FATCA compliant can be daunting for many reasons:
- The first part of the challenge is to build the ability to accurately identify which clients are “US accounts” under FATCA. The second aspect is to know which rules to apply and thereafter, apply them as prescribed by law. Developing the above capabilities can become a challenge for FFIs and NFFEs because of the way financial institutions are typically organized and the silos in which most of their IT systems exist and operate. For instance:
- An individual may have several accounts with an FFI,each related to a different type of product. A client’s accounts may also be spread across multiple branches, subsidiaries and business units.
- Data about one customer could well be spread across multiple systems within an FFI because each product is supported by a different software system.
Typically, the following systems are likely to be impacted by FATCA.
- Existing customer on boarding systems that support processes like Account Opening and KYC will need to be modified to make them capable of accurately collecting / updating additional information about new / existing customers to assess applicability of FATCA.
Mindtree offers a robust FATCA solution supported by comprehensive and world-class implementation services
A robust data model is arguably 80% of the job. That’s why our solution is built on IBM’s proven industry-standard data model that has evolved over the years and is used by the world’s largest financial institutions. You can therefore be assured that your FATCA compliance will not be impacted because of gaps in the data model.
But 80% is not 100%. The remaining 20% is just as critical to achieve compliance, and has to do with populating the data model for new customers and applying the right rules to drive FATCA compliance across the enterprise. Here’s how our solution addresses these critical requirements:
- Account Identification: A FATCA “rules engine” enables easy identification of “US accounts” based on the US indicia specified in the rules. The engine also identifies accounts that are exempt from FATCA.
- Built in reconciliation framework: Incomplete source data can often preclude the rules engine from correctly identifying if a customer should fall under US indicia or not. Our solution includes an inbuilt workflow framework that makes it possible for support teams to easily contact customers for whom data is incomplete or missing and obtain / update the relevant information.
- Aggregation: The solution enables linking of accounts of an individual or entity across its different business units (e.g. banking, custodial, depository, insurance etc.) and within the same business unit (like individual and joint bank accounts). The system is able to report on a ‘per customer basis’ irrespective of how many accounts (single / joint) they hold. Our solution aggregates balances / values across different accounts held by an individual / entity to determine applicability of FATCA based on specified thresholds.
- Reporting: For each FATCA reportable account, our solution can generate reports in the formats specified by the IRS or other tax authorities. These reports vary with the nature of the underlying account (depository account or account of an investment or insurance entity etc.).
- The solution generates reports of payments made to non-participating financial firms to be submitted to IRS or other tax authorities. A pre-built API ensures data delivery in custom formats.
- Analytics: An inbuilt ETL layer and analytics framework enables analysis of account holding patterns and their FATCA compliance status. The analytics layer not only provides customer-specific intelligence but also helps in following up with customers with incomplete KYC details (reconciliation workflow framework).
- Secured API: The inbuilt multi-format API engine is easy to integrate and takes care of all regulatory reporting requirements through a secured gateway.
The diagram below illustrates the high level technical architecture of our solution.