Common use of Preexisting Individual Accounts That Have Been Documented for Certain Other Purposes Clause in Contracts

Preexisting Individual Accounts That Have Been Documented for Certain Other Purposes. A Reporting Australian Financial Institution that has previously obtained documentation from an Account Holder to establish the Account Holder’s status as neither a U.S. citizen nor a U.S. resident in order to meet its obligations under a qualified intermediary, withholding foreign partnership, or withholding foreign trust agreement with the IRS, or to fulfill its obligations under chapter 61 of Title 26 of the United States Code, is not required to perform the procedures described in subparagraph B(1) of this section with respect to Lower Value Accounts or subparagraphs D(1) through D(3) of this section with respect to High Value Accounts.

Appears in 2 contracts

Samples: haydonperryman.files.wordpress.com, treasury.gov.au

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Preexisting Individual Accounts That Have Been Documented for Certain Other Purposes. A Reporting Australian New Zealand Financial Institution that has previously obtained documentation from an Account Holder to establish the Account HolderXxxxxx’s status as neither a U.S. citizen nor a U.S. resident in order to meet its obligations under a qualified intermediary, withholding foreign partnership, or withholding foreign trust agreement with the IRS, or to fulfill its obligations under chapter 61 of Title 26 of the United States Code, is not required to perform the procedures described in subparagraph B(1) of this section with respect to Lower Value Accounts or subparagraphs D(1) through D(3) of this section with respect to High Value Accounts.

Appears in 1 contract

Samples: taxpolicy.ird.govt.nz

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Preexisting Individual Accounts That Have Been Documented for Certain Other Purposes. A Reporting Australian New Zealand Financial Institution that has previously obtained documentation from an Account Holder to establish the Account Holder’s status as neither a U.S. citizen nor a U.S. resident in order to meet its obligations under a qualified intermediary, withholding foreign partnership, or withholding foreign trust agreement with the IRS, or to fulfill its obligations under chapter 61 of Title 26 of the United States Code, is not required to perform the procedures described in subparagraph B(1) of this section with respect to Lower Value Accounts or subparagraphs D(1) through D(3) of this section with respect to High Value Accounts.

Appears in 1 contract

Samples: Agreement

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