Mon, Jun 13, 2016
This extension is applicable to fund managers with Cayman Islands funds regardless of whether such funds have U.S. or UK investors.
Notifications and returns submitted on or before August 10, 2016 will not attract any adverse compliance consequences or enforcement measures.
Duff & Phelps can advise on U.S. and UK FATCA implications in general and specifically what impact this announcement has on your funds and group entities.
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