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What Is an Expanded Affiliated Group (EAG) in FATCA

What Is an Expanded Affiliated Group (EAG) in FATCA

Update: 2025-09-30
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An Expanded Affiliated Group (EAG) is defined under Code section 1504(a) and Treas. Reg. §1.1471-5(i). It generally means one or more chains of entities connected through ownership by a common parent. Normally, the parent must directly own more than 50% of another member’s stock or equity interests.

In FATCA, the EAG rules are designed to prevent avoidance of reporting obligations. The “one bad apple” rule applies—if any member of the group is a non-participating FFI, then no member can claim participating FFI status.


While the definition is based on corporate ownership, trusts or partnerships can be part of an EAG if they elect to be treated as such under Treas. Reg. §1.1471-5(i)(10). This makes it possible for a trust to act as the common parent of an EAG, provided the proper election is made.


#FATCA #TaxCompliance #EAG #InternationalTax #FinancialInstitutions

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What Is an Expanded Affiliated Group (EAG) in FATCA

What Is an Expanded Affiliated Group (EAG) in FATCA