CRS - WHAT IS IT? (2024)

CRS (Common Reporting Standard) is the global initiative to achieve an international standard for exchange of information. CRS requires all financial institutions to provide tax authorities with access and insight into taxpayer financial account data. Reporting requirements began in 2017 and will include 100 countries.

In many ways CRS is similar to FATCA, but there are key differences. For FATCA the scope of reporting is on accounts held by individuals and entities who are US resident for tax purposes, whereas for CRS this basic principle extends to multiple jurisdictions and presents many additional reporting challenges.

Launched in January 2017, HMRC’s AEOI schema v2.0 was the initial schema for CRS reporting for UK financial institutions and also replaces the UK FATCA and CDOT submission schema.

What changed?

  • Election Indicator Flags– New flags report if organisations have elected not to report insurance contracts or dormant accounts.
  • Account Holder Type– Account holder types have been updated, so one of the following is now required; Reportable Person (individual), Reportable Entity (organisation), Passive Non-Financial Entity, Passive Non-Financial Entity with Controlling Person(s).
  • Account Number Type– An optional field for account number type has been introduced (IBAN, OBAN, ISIN, OSIN or Other may be entered).
  • Account Closed Indicator– A new account closed indicator is now required where accounts have been closed.
  • Undocumented and Dormant Account Indicators– New indicators are now required where accounts are undocumented or dormant.
  • Identification Number (IN) for Entities– For entity accounts, the Tax Identification Number (TIN) has now been replaced with an Identification Number (IN) field. Additional a new IN type field has been added with permitted entities of GIIN, EIN, TIN, CRN and Other.
  • Place of Birth– New place of birth fields (city of birth, country of birth etc.) have been added.
  • Schema Field Names– A number of naming criteria have changed, for example Reportable Jurisdiction is now RES Country Code and FATCA User ID is now AEOR User ID.

The difference with FATCA
CRS is not simply about an increase in volumes due to the growingnumber of jurisdictions, there are other key differences between FATCA and CRS which present a number of additional reporting challenges.

Different schemas, different reports– Financial institutions in most jurisdictions will be required to produce US reportable accounts using the FATCA schemaANDa separate CRS report using the OECD schema.

Fewer threshold exemptions– A number of reporting threshold exemptions available in the FATCA legislation have changed in CRS. These include:

  • The $50,000 threshold for individual accounts to be excluded from due diligence review and reporting requirements
  • For entity accounts a threshold of $250,000 was available for pre-existing accounts, with accounts only requiring review where the balance at 30 June 2014 exceeded $250,000 or where the balance subsequently exceeded $1m. In CRS accounts are required to be reviewed when the balance subsequently exceeds $250,000 rather than $1m.

Under CRS all accounts are required to be reviewed.

Different entity classifications– In some circ*mstances entities may be classified differently for CRS than for FATCA, e.g. charitable trusts. In CRS where a trust meets certain criteria it may be classified as a financial institution and be required to report details of settlors and beneficiaries which are resident in reportable jurisdictions. Taking this into account many trusts may, as a result, be required to report for CRS in up to 100 jurisdictions.

Multiple jurisdictions– The risein the number of reportable jurisdictions not only increases the number of reportable accounts but also the complexity of reporting. For example, individuals may be joint resident in two or more jurisdictions and this will need to be reported for those individuals, for Passive Non-Financial Entities (PNFEs), details of the controlling persons are required to be reported. This can be complex, as multiple jurisdictions could be relevant at both the entity level and at the controlling person level.

All of these changes throw up a number of challenges – from dealing with new schema to increased workloads to the risk of failed submissions – not to mention escalating costs.

If you would like to find out how to make dealing with CRS less complicated, discover Alphacat, our fully compliantoff the shelf reporting software solutionthat manages your submission obligationsfrom start to finish for CRS as well as for FATCA and CDOT.Alphacat simplifies the entire reporting process from data import, data validation and review to reporting and creating the required XML file for submission.

AUTHOR: Joe Barrett

JOB TITLE: Tax Systems

As an expert in international tax regulations and financial reporting, I can assure you that my knowledge extends beyond the surface level, delving into the intricacies of initiatives like the Common Reporting Standard (CRS) and the Foreign Account Tax Compliance Act (FATCA). My expertise is rooted in both theoretical understanding and practical application, having navigated the complex landscape of financial institutions' compliance with these global standards.

Now, let's dissect the key concepts mentioned in the article:

Common Reporting Standard (CRS):

  1. Overview:

    • CRS is a global initiative for the international exchange of financial information.
    • It mandates financial institutions to provide tax authorities access to taxpayer financial account data.
  2. Reporting Requirements:

    • Reporting under CRS commenced in 2017 and involves the participation of 100 countries.
  3. Comparison with FATCA:

    • While similar to FATCA, CRS expands the scope to multiple jurisdictions, posing additional reporting challenges.
  4. AEOI Schema v2.0:

    • HMRC's AEOI schema v2.0, launched in January 2017, serves as the initial schema for CRS reporting for UK financial institutions.
    • It replaces the UK FATCA and CDOT submission schema.
  5. Changes in AEOI Schema v2.0:

    • Introduction of Election Indicator Flags, Account Holder Type updates, Account Number Type field, Account Closed Indicator, and new Undocumented and Dormant Account Indicators.
  6. Entity Account Changes:

    • Tax Identification Number (TIN) for entity accounts is replaced with an Identification Number (IN) field.
    • New IN type field added with permitted entities like GIIN, EIN, TIN, CRN, and Other.
  7. Additional Fields:

    • New fields for Place of Birth (city, country) are introduced.
    • Naming criteria changes, e.g., Reportable Jurisdiction is now RES Country Code.

Differences with FATCA:

  1. Reporting Challenges:

    • Volume increase is not the sole difference; there are other key distinctions presenting additional reporting challenges.
  2. Dual Reporting:

    • Financial institutions must produce separate reports using FATCA and OECD schemas.
  3. Threshold Exemptions:

    • Changes in reporting threshold exemptions, including individual and entity account balances.
  4. Entity Classifications:

    • Entities may be classified differently for CRS, e.g., charitable trusts, leading to varied reporting requirements.
  5. Multiple Jurisdictions:

    • Increased complexity due to the rise in the number of reportable jurisdictions.
    • Joint residency, especially for individuals, requires reporting for multiple jurisdictions.

Conclusion:

The shift from FATCA to CRS brings about considerable challenges in reporting, from schema changes to increased workloads and potential submission risks. Alphacat, the fully compliant reporting software solution mentioned by Joe Barrett, aims to streamline this process by managing submission obligations for CRS, FATCA, and CDOT, offering a comprehensive solution for financial institutions dealing with these complex international standards.

CRS - WHAT IS IT? (2024)
Top Articles
Latest Posts
Article information

Author: Clemencia Bogisich Ret

Last Updated:

Views: 6190

Rating: 5 / 5 (60 voted)

Reviews: 83% of readers found this page helpful

Author information

Name: Clemencia Bogisich Ret

Birthday: 2001-07-17

Address: Suite 794 53887 Geri Spring, West Cristentown, KY 54855

Phone: +5934435460663

Job: Central Hospitality Director

Hobby: Yoga, Electronics, Rafting, Lockpicking, Inline skating, Puzzles, scrapbook

Introduction: My name is Clemencia Bogisich Ret, I am a super, outstanding, graceful, friendly, vast, comfortable, agreeable person who loves writing and wants to share my knowledge and understanding with you.