Tag: 402(b)

  • Invest Offshore in Collectibles and avoid FATCA

    Two days ago the colourful painting of two Tahitian women by Paul Gauguin was sold by a Swiss family foundation to a group of state museums in Qatar for nearly $300 million, a record sum for a single work of art. The price would best the roughly $250 million that Qatar paid three years ago…

  • Brought to you by FATCA

    Recapturing Pre-Tax Contributions and Tax Deferred Accumulations in a 402(b) Regulated Asset Protection Structure Contributions to this Internal Revenue Service (IRS) acknowledged and FATCA registered foreign company retirement plan are for persons working inside or outside the USA. Assets held within this specific IRC 402(b) are recognized globally as not included in worldwide taxable assets…

  • 402b Benefits for Asset Protection

    Benefits of a Regulated Asset Protection Structure (RAPS) Recapture pre-tax contributions and tax deferred accumulations Recapture foreign financial account privacy and secrecy When there is a legal basis there are no limits to contribution amounts Liquidity at all times. Overcome regulatory barriers to provide your champions capital shares Reduce employee social service costs by 1/3rd…

  • Regulated, Registered, Recognized Foreign Retirement Plan

    NQDC-vs-402(b) – aka RAPS An alternative to the US Tax Regulations that require NQDC plans (nonqualified deferred compensation plans) to be not formally funded ( The Total Return Swap Hedge requires 25 million annual contributions.) The Alternative to Unfunded, Unhedged, or informally funded NQDC Plans: We have a number of 402(b) Foreign Retirement Plan proposals…

  • 402(b) Regulator Asset Protection Structure

    Annually the 402(b) Regulator Asset Protection Structure Custodian is excluded from reporting the value of your tax deferred account. YOU file to the IRS Form 8938 “Zero Value” and you report the actual value on the FBAR Form. This process validates transparency with the IRS. The Custodian is specifically an excluded FFI by FATCA. You…