When you were in the US, it was commonplace to have a trust in order to avoid probate. But how does this change after you have made the move over to a European country, such as Belgium?
If you are a Belgian resident with assets held in a trust or other legal arrangement, they will likely not view a trust in the same way as it would be seen by the IRS in the United States - i.e. they may disregard the structure of the trust and view its contents as taxable on the beneficiary, meaning the trust loses its advantage it enjoys in the states. Therefore, it is crucial to be aware of your tax reporting obligations, as not complying can lead to significant penalties. You should reevaluate the purpose of holding the trust and whether it continues to be fit for purpose if you now live in a different jurisdiction with a different legal system.
Why is it Important?
Tax Compliance: Accurate reporting of your assets helps you maintain compliance with Belgian tax laws, avoiding potential penalties and interest charges.
Transparency: By filing appropriately, you contribute to the integrity of the Belgian tax system.
Risk Mitigation: Proper tax reporting can protect you from future disputes with the tax authorities.
What should I know about my filing obligations?
The Belgian government decided in December 2023 that a taxpayer who declares to either hold a trust or be a beneficiary of a trust (or another similar administrative construction) has to attach a special form to their income tax return, Annex 276CJC. In this attachment 276CJC the taxpayer has to mention information (figures) about the trust.
Annex 276 CJC is a tax form used in Belgium to declare income and assets held through trusts, companies, or other legal entities. It is part of the annual income tax return and is designed to ensure that all income generated by these structures is correctly reported and taxed.
To complete Annex 276 CJC accurately, you will need information about:
The structure of your trust or legal arrangement.
The income generated by the structure.
The assets held within the structure.
Your beneficial ownership of the structure.
Seek Professional Advice
While this article is written with the specific view of how a trust should be considered in Belgium, it is worth noting that many European countries regard US trusts in a similar way. Given the complexities of international tax law and the specific nuances of the above and any other filing obligations you may have as a resident in Belgium, it is highly recommended to consult with a qualified tax advisor. They can guide you through the filing process, ensure compliance, and help you optimize your tax position.
DUNHILL FINANCIAL, LLC IS A REGISTERED INVESTMENT ADVISER. THE INFORMATION PRESENTED IS FOR EDUCATIONAL PURPOSES ONLY AND DOES NOT INTEND TO MAKE AN OFFER OR SOLICITATION FOR THE SALE OR PURCHASE OF ANY SPECIFIC SECURITIES, INVESTMENTS, OR INVESTMENT STRATEGIES. INVESTMENTS INVOLVE RISK AND UNLESS OTHERWISE STATED, ARE NOT GUARANTEED. BE SURE TO FIRST CONSULT WITH A QUALIFIED FINANCIAL ADVISER AND/OR TAX PROFESSIONAL BEFORE IMPLEMENTING ANY STRATEGY DISCUSSED HEREIN.
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