January 18, 2012: Abu Dhabi Investment Council |
Abu Dhabi Investment Council submits comments on the application of the Foreign Account Tax Compliance Act to sovereign wealth funds that qualify as a "foreign government" under section 892 of the U.S. Internal Revenue Code of 1986, as amended (the "Code") and certain wholly-owned subsidiaries of such funds that do not themselves qualify as a "foreign government" under section 892.
A copy of the letter, as originally published by Tax Analysts, is attached.
Contact FATCA Leader for further information.
Last updated
January 18, 2012: Abu Dhabi Investment Council



