Another Swiss Bank Bites The Dust!

TaxConnections Blogger PostsBank Frey has become the second of Switzerland’s smaller banks to announce it is ceasing operations as a result of the United States government’s drive against cross-border tax evasion.

The organization, founded in 2000, says it is solvent and will not be liquidated. It has merely decided that the costs associated with the US tax dispute, together with increasingly difficult market conditions, ever-growing regulations and the unsustainable requirements’ have become too high to justify its banking operations.

Frey & Co.’s Executive Board, together with shareholders, came to the decision last week. Frey & Co. is currently the subject of a Department of Justice investigation, meaning that it is unable to take advantage of a settlement deal offered by the DOJ to Swiss “Category 1” banks.

In August, the DOJ and the Swiss Federal Department of Finance unveiled a scheme designed to encourage Swiss banks to cooperate in the DOJ’s investigations into the use of foreign bank accounts to commit tax evasion. (See Swiss Banks Agree to Plan to End Past US Tax Evasion Issues!).

Under the program, participating banks are:

• Required to make a complete disclosure of their cross-border activities,

• Provide detailed information on accounts in which US taxpayers have a direct or indirect interest,

• Agree to pay substantial penalties. and

• Must also agree to close the accounts of holders who fail to comply with US reporting obligations.

In addition Banks that held accounts as of August 1, 2008, must pay a fine equal to 20% of the top dollar value of all non-disclosed accounts. That goes up to 30% for secret accounts opened after August 1, 2008 but before March 2009. The highest tier of penalties is 50% for accounts opened after that.

The investigation into Bank Frey’s activities showed that the bank had increased the number of its American clients by 300% between March 2009 and February 2012. As of September 2012, 44% of the institution’s managed assets came from American clients.

Are You One of the > 7 MM Americans with Unreported Foreign Bank Income?

In accordance with Circular 230 Disclosure

Tony Beecher

Subscribe to TaxConnections Blog

Enter your email address to subscribe to this blog and receive notifications of new posts by email.