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    Today is Monday, March 22, 2010 at 
    - Countdown to Market Close:

    (.net) – On June 12, three personnel participated in a teleconference designed to address open questions regarding the Report of Foreign Bank and Financial Accounts (FBARs) for calendar year 2008 that must be filed by June 30. It was their position that an offshore hedge fund is a “foreign financial account” for purposes and that, therefore, every U.S. investor in an offshore hedge fund should file an , whether or not the fund has any offshore bank or securities accounts.

    The needs to be filed by U.S. persons that have a financial interest in, or signature or other authority over, a foreign financial account or accounts if the aggregate value of the account(s) exceeds $10,000 at any time during the year. The instructions to the provide that foreign financial accounts include “any accounts in which the assets are held in a commingled fund, and the account owner holds an equity interest in the fund (including ).” In the teleconference, the personnel took the position that offshore hedge funds are foreign financial accounts for purposes.

    Based on the instructions to the and this insight from personnel, until further guidance is issued by the , we recommend that an should be filed by the following persons or entities with respect to offshore funds:

    •  Every U.S. investor, including U.S. tax-exempt entities, in an offshore hedge fund (this includes both stand-alone offshore hedge funds and the offshore in master/ hedge fund structure)

    •  U.S. funds that invest in offshore master funds, and any U.S. investor that owns more than 50% of the U.S.

    •  Any direct U.S. investor in an offshore master fund

    •  that have a financial interest (for example, through their carry) in any offshore hedge funds (whether stand-alone, or master)

    This requirement is in addition to requirements applicable to U.S. persons or entities that have a direct or indirect interest in an offshore bank, securities or securities derivatives account. Therefore, any U.S. person or entity (for example, a U.S. hedge fund) that has a financial interest in such foreign financial account or owns more than 50% of the equity of an entity that has a foreign financial account needs to file the . Similarly, anyone with signature or other similar authority over such foreign financial accounts needs to file the .

    Alex Akesson

    Edtior for HedgeCo.Net
    Email: alex@hedgeco.net

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