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Reporting of Specified Foreign Financial Assets; Correction

---
identifier: "/us/fr/2012-3935"
source: "fr"
legal_status: "authoritative_unofficial"
title: "Reporting of Specified Foreign Financial Assets; Correction"
title_number: 0
title_name: "Federal Register"
section_number: "2012-3935"
section_name: "Reporting of Specified Foreign Financial Assets; Correction"
positive_law: false
currency: "2012-02-21"
last_updated: "2012-02-21"
format_version: "1.1.0"
generator: "[email protected]"
agency: "Treasury Department"
document_number: "2012-3935"
document_type: "rule"
publication_date: "2012-02-21"
agencies:
  - "Treasury Department"
  - "Internal Revenue Service"
cfr_references:
  - "26 CFR Part 1"
rin: "1545-BK17"
fr_citation: "77 FR 9845"
fr_volume: 77
docket_ids:
  - "TD 9567"
effective_date: "2012-02-21"
fr_action: "Correcting amendment."
---

#  Exceptions from the reporting of certain assets under section 6038D (temporary).

**AGENCY:**

Internal Revenue Service (IRS), Treasury.

**ACTION:**

Correcting amendment.

**SUMMARY:**

This document contains corrections to final regulations (TD 9567), which were published in the *Federal Register* on Monday, December 19, 2011, relating to the reporting of specified foreign financial assets.

**DATES:**

*Effective date:* This correction is effective February 21, 2012, and is applicable beginning December 19, 2011.

**FOR FURTHER INFORMATION CONTACT:**

Joseph S. Henderson, (202) 622-3880 (not a toll-free number).

**SUPPLEMENTARY INFORMATION:**

**Background**

The final regulations that are the subject of these corrections are under section 6038 of the Internal Revenue Code.

**Need for Correction**

As published on December 19, 2011 (76 FR 78561), final regulation (TD 9567), contains errors which may prove to be misleading and are in need of clarification.

**List of Subjects in 26 CFR Part 1**

Income taxes, Reporting and recordkeeping requirements.

Accordingly, 26 CFR part 1 is corrected by making the following correcting amendments.

**26 CFR Part 1**

**PART 1—INCOME TAXES**

*Paragraph 1.* The authority citation for part 1 continues to read in part as follows:

**Authority:**

26 U.S.C. 7805 * * *

**26 CFR Part 1**

**PART 1—[CORRECTED]**

*Par. 2.* Section 1.6038D-2T is amended by:

1. Revising the last sentence of paragraph (b)(3).

2. Revising, in paragraph (d), the subject heading and fifth sentence of paragraph (2)(i) in the *Example.*

The revisions read as follows:

§ 1.6038D-2T

(b) * * *

(3) * * * See § 1.6038D-5T(f) for rules to determine the maximum value of an interest in a foreign trust or estate.

(d) * * *

*Example.* * * *

(2) * * *

(i) *Married specified individuals filing separate annual returns.* * * * See § 1.6038D-5T(b) regarding the maximum value of a jointly owned and specified foreign financial asset to be reported by a specified person, including a married specified individual, that is a joint owner of an asset. * * *

**21 CFR Part 1**

*Par. 3.* Section 1.6038D-4T is amended by revising paragraph (a)(9) to read as follows:

§ 1.6038D-4T

(a) * * *

(9) The foreign currency exchange rate and, if the source of such rate is other than as described in § 1.6038D-5T(c)(1), the source of the rate used to determine the specified foreign financial asset's U.S. dollar value, including maximum value; and

**26 CFR Part 1**

*Par. 4.* Section 1.6038D-5T is amended by revising paragraph (c)(1).

§ 1.6038D-5T

(c) * * *

(1) *In general.* Except as provided in paragraph (c)(2) of this section, the U.S. Treasury Department's Financial Management Service foreign currency exchange rate is to be used to convert the value of a specified foreign financial asset into U.S. dollars for purposes of determining the aggregate value of specified foreign financial assets in which a specified person has an interest and determining the maximum value of a specified foreign financial asset.

**26 CFR Part 1**

*Par. 5.* Section 1.6038D-7T is amended by revising paragraphs (a)(1)(i)(C) and (b) introductory text to read as follows:

§ 1.6038D-7T

(a) * * *

(1) * * *

(i) * * *

(C) Form 8621, “Return by a Shareholder of a Passive Foreign Investment Company or Qualified Electing Fund”;

(b) *Owner of certain trusts.* A specified person that is treated as an owner of any portion of a domestic trust under sections 671 through 678 is not required to file Form 8938 to report any specified foreign financial asset held by the trust if the trust is—

Guy R. Traynor,

Federal Register Liaison, Legal Processing Division, Publication and Regulations Br., Procedure & Administration.