ADDITIONAL REPORTING ON THE 2019 BENCHMARK SURVEY OF FINANCIAL SERVICES TRANSACTIONS BETWEEN U.S. FINANCIAL SERVICES PROVIDERS AND FOREIGN PERSONS

October 9, 2020

In addition to the filing thresholds outlined in our September 23, 2020 alert, U.S. financial services providers1 who did not have either sales or purchases of the covered financial services with foreign persons in excess of $3 million for the fiscal year 2019 are also required to file a Form BE-180. U.S. financial services providers who did not have either sales or purchases of the covered financial services with foreign persons in excess of $3 million during the fiscal year 2019 are only required to file a truncated version of the Form BE-180. Covered financial services for purposes of the Form BE-180 include: (i) brokerage services related to equity transactions; (ii) other brokerage services; (iii) underwriting and private placement services related to equity transactions; (iv) underwriting and private placement services related to debt transactions; (v) financial management services; (vi) credit-related services, except credit card services; (vii) credit card services; (viii) financial advisory and custody services; (ix) securities lending services; (x) electronic funds transfer services; and (xi) other financial services set forth in the Form BE-180.

The Form BE-180 is required to be filed by October 30, 2020 using the Bureau of Economic Analysis’ eFile system.

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1 The definition of financial services provider used for this survey is identical to the definition of the term as used in the North American Industry Classification System, United States, 2012, Sector 52—Finance and Insurance, and holding companies that own or influence, and are principally engaged in making management decisions for these firms.