The Report of Foreign Bank and Financial Accounts (FBAR), officially known as FinCEN Form 114, is a critical compliance requirement for U.S. persons holding foreign financial accounts. This guide outlines the key aspects of FBAR reporting, including who must file, what information is required, deadlines, and potential penalties for non-compliance.
A U.S. person must file an FBAR if they have a financial interest in or signature authority over at least one foreign financial account, and the aggregate value of all foreign financial accounts exceeds $10,000 at any time during the calendar year.
Definition of a U.S. Person:
Note: Tax treaty provisions do not affect FBAR filing obligations.
Reportable foreign financial accounts include:
The location of the account determines its reportability. Accounts held at foreign branches of U.S. banks are considered foreign financial accounts, while accounts at U.S. branches of foreign banks are not.
When filing an FBAR, you must provide:
Keep records for each account reported on the FBAR for five years from the due date of the FBAR. Records should include:
Non-Willful Violations:
Willful Violations:
Criminal Penalties:
Penalties can be mitigated if the failure to file was due to reasonable cause and not willful neglect.
You are not required to file an FBAR if:
If you failed to file an FBAR, consider the following options:
Voluntary Disclosure Practice: For willful violations; involves a more comprehensive disclosure and potential penalties.
Delinquent FBAR Submission Procedures: For non-willful violations with no tax underpayment.
Streamlined Filing Compliance Procedures: For non-willful violations; includes both domestic and foreign versions, depending on residency.
Disclaimer: The information provided in this article is for general informational purposes only and does not constitute legal advice. While we strive to ensure the accuracy and completeness of the information, we make no guarantees regarding its applicability to your specific circumstances. For personalized legal guidance, please consult a qualified legal professional.