IRS Requests Public Comment on Forms 3520 and 3520-A, Reporting of Foreign Gifts and Trusts

The IRS requested public comment regarding two reporting forms used by taxpayers in reporting for foreign gifts and trusts, Form 3520 and Form 3520-A.

The U.S. taxation and information reporting imposed on foreign trusts is complex.

Form 3520 is used by U.S. taxpayers when a reportable event occurs regarding a foreign trust or gift.

There are several events regarding foreign trusts that must be reported on a Form 3520. Reportable events include the creation of a foreign trust by a U.S. person (meaning a citizen, resident alien, or domestic partnership, corporation, or estate) or the transfer of money to a foreign trust by a U.S. person. Other reportable events include when a foreign trust is owned in whole or in part by a U.S. person, or if a U.S. person receives a distribution from a foreign trust.

Per the Instructions for Form 3520, gifts are reportable on the Form 3520 when a U.S. person receives a gift of more than $100,000 from a nonresident alien or foreign estate, or when more than $16,076 of gifts are received by a U.S. person from foreign corporations or partnerships.

Form 3520-A is an informational return that must be filed by all foreign trusts owned or partly owned by at least one U.S. person. This form would be filed in conjunction with a Form 3520. The purpose of the Form is to provide information about the trust, its U.S. beneficiaries, and any U.S. owner. Each U.S. owner is responsible for ensuring that the return is filed.

The IRS recently announced a campaign with a focus on the enforcement of filing requirements related to foreign trusts. Severe penalties may be imposed for noncompliance in connection with these two forms. Note that taxpayers may be subject to separate fines for each form that was not properly filed.

The complexity surrounding foreign trusts should be frequently reviewed to avoid tax implications and complications. Don't hesititate to contact us if you have questions regarding the reporting of foreign trusts or gifts.

You’ve heard our thoughts… We’d like to hear yours

The Schneider Downs Our Thoughts On blog exists to create a dialogue on issues that are important to organizations and individuals. While we enjoy sharing our ideas and insights, we’re especially interested in what you may have to say. If you have a question or a comment about this article – or any article from the Our Thoughts On blog – we hope you’ll share it with us. After all, a dialogue is an exchange of ideas, and we’d like to hear from you. Email us at [email protected].

Material discussed is meant for informational purposes only, and it is not to be construed as investment, tax, or legal advice. Please note that individual situations can vary. Therefore, this information should be relied upon when coordinated with individual professional advice.

© 2024 Schneider Downs. All rights-reserved. All content on this site is property of Schneider Downs unless otherwise noted and should not be used without written permission.

our thoughts on
Defend Your Dollars and Data: How to Avoid IRS Impersonation Scams
IRS Modifies Position on Grantor Trust Tax Reimbursement Clauses
IRS Issues Moratorium on Processing New Employee Retention Credit Claims
IRS Releases Guidance on the Requirement to Capitalize Research and Experimental Expenditures
Is Your Worthless Crypto Actually Worthless According to the IRS?
IRS Announces 2022 Individual Tax Filing Season: Open for Business!
Register to receive our weekly newsletter with our most recent columns and insights.
Have a question? Ask us!

We’d love to hear from you. Drop us a note, and we’ll respond to you as quickly as possible.

Ask us
contact us
Pittsburgh

This site uses cookies to ensure that we give you the best user experience. Cookies assist in navigation, analyzing traffic and in our marketing efforts as described in our Privacy Policy.

×