IEIM402340 - Reportable Information: Reportable Jurisdictions
Reportable Information: Reportable Jurisdictions
The following territories are the Reportable Jurisdictions for each of the regimes.
FATCA
United States of America.
CRS
The following are Reportable Jurisdictions for the 2023 reporting year, in respect of 2022 reportable accounts:
Albania, Andorra, Antigua and Barbuda, Argentina, Aruba, Australia, Austria, Azerbaijan, Barbados, Belgium, Belize, Brazil, Brunei Darussalam, Bulgaria, Canada, Chile, China, Colombia, Cook Islands, Costa Rica, Croatia, Curacao, Cyprus, Czech Republic, Denmark, Ecuador, Estonia, Faroe Islands, Finland, France, Germany, Ghana, Gibraltar, Greece, Greenland, Grenada, Guernsey, Hong Kong (China), Hungary, Iceland, India, Indonesia, Ireland, Isle of Man, Israel, Italy, Jamaica, Japan, Jersey, Kazakhstan, Korea, Latvia, Lebanon, Liechtenstein, Lithuania, Luxembourg, Macao (China), Malaysia, Maldives, Malta, Mauritius, Mexico, Monaco, Montenegro, Montserrat, Netherlands, New Zealand, Nigeria, Niue, Norway, Pakistan, Panama, Peru, Poland, Portugal, Samoa, San Marino, Saudi Arabia, Seychelles, Singapore, St Kitts and Nevis, St Lucia, St Vincent and the Grenadines, Slovak Republic, Slovenia, South Africa, Spain, Sweden, Switzerland, Taiwan, Thailand, Turkey, Uruguay, Vanuatu.
Note that the jurisdictions that have been added to the list of Reportable Jurisdictions for the 2023 reporting year, Montenegro and Thailand, completed both ratification of the Convention on Mutual Administrative Assistance in Tax Matters (MAC) and signing of the Multilateral Competent Authority Agreement on Automatic Exchange of Financial Account Information (MCAA) before 19 April 2023. Whilst Kenya, Moldova and Uganda are not Reportable Jurisdictions for the 2022 reporting year, arrangements with these jurisdictions remain in place.
The following are Reportable Jurisdictions for the 2024 reporting year, in respect of 2023 reportable accounts:
Albania, Andorra, Antigua and Barbuda, Argentina, Aruba, Australia, Austria, Azerbaijan, Barbados, Belgium, Belize, Brazil, Brunei Darussalam, Bulgaria, Canada, Chile, China, Colombia, Cook Islands, Costa Rica, Croatia, Curacao, Cyprus, Czech Republic, Denmark, Ecuador, Estonia, Faroe Islands, Finland, France, Germany, Ghana, Gibraltar, Georgia, Greece, Greenland, Grenada, Guernsey, Hong Kong (China), Hungary, Iceland, India, Indonesia, Ireland, Isle of Man, Israel, Italy, Jamaica, Japan, Jersey, Kazakhstan, Kenya, Korea, Latvia, Lebanon, Liechtenstein, Lithuania, Luxembourg, Macao (China), Malaysia, Maldives, Malta, Mauritius, Mexico, Moldova, Monaco, Montenegro, Montserrat, Netherlands, New Zealand, Nigeria, Niue, Norway, Pakistan, Panama, Peru, Poland, Portugal, Samoa, San Marino, Saudi Arabia, Seychelles, Singapore, St Kitts and Nevis, St Lucia, St Vincent and the Grenadines, Slovak Republic, Slovenia, South Africa, Spain, Sweden, Switzerland, Taiwan, Thailand, Turkey, Ukraine, Uruguay, Vanuatu.
HM Treasury has made the International Tax Compliance (Amendment) Regulations 2024, which will come into force on 14 May 2024 and which are published at . These Regulations insert a new regulation 1(3)(b) into the International Tax Regulations 2015 (“the principal regulations”). This amendment enables HMRC to publish a notice specifying the arrangements for the exchange of financial account information with other jurisdictions to which the principal regulations apply.
HMRC has published a notice under regulation 1(3)(b) of the principal regulations, at Notice made under regulation 1(3)(b) of the International Tax Compliance Regulations 2015 - ǸԹ (www.gov.uk). The notice, which will have effect from 14 May 2024, specifies that the arrangements entered into by the United Kingdom with other territories for the exchange of tax information for the purposes of the adoption and implementation of the CRS are those entered into as at 17 April 2024.
The list of jurisdictions whose tax residents Financial Institutions must report on by 31 May 2024 under the Common Reporting Standard is unchanged from the last update in January 2024. The changes since the 2023 reporting year are that Georgia, Kenya, Moldova and Ukraine have been added to the list.
Note that, of the jurisdictions that have been added to the list of Reportable Jurisdictions for the 2024 reporting year, Georgia and Ukraine completed both ratification of the Convention on Mutual Administrative Assistance in Tax Matters (MAC) and signing of the Multilateral Competent Authority Agreement on Automatic Exchange of Financial Account Information (MCAA) before 17 April 2024.
The following are Reportable Jurisdictions for the 2025 reporting year, in respect of 2024 reportable accounts:
Albania, Andorra, Antigua and Barbuda, Argentina, Armenia, Aruba, Australia, Austria, Azerbaijan, Barbados, Belgium, Belize, Brazil, Bulgaria, Canada, Chile, China, Colombia, Cook Islands, Costa Rica, Croatia, Curacao, Cyprus, Czech Republic, Denmark, Ecuador, Estonia, Faroe Islands, Finland, France, Georgia, Germany, Ghana, Gibraltar, Greece, Greenland, Grenada, Guernsey, Hong Kong (China), Hungary, Iceland, India, Indonesia, Ireland, Isle of Man, Israel, Italy, Jamaica, Japan, Jersey, Kazakhstan, Kenya, Korea, Latvia, Liechtenstein, Lithuania, Luxembourg, Malaysia, Maldives, Malta, Mauritius, Mexico, Moldova, Monaco, Montenegro, Morocco, Netherlands, New Zealand, Nigeria, Norway, Pakistan, Panama, Peru, Poland, Portugal, Rwanda, San Marino, Saudi Arabia, Senegal, Seychelles, Singapore, St Kitts and Nevis, St Lucia, Slovak Republic, Slovenia, South Africa, Spain, Sweden, Switzerland, Taiwan, Thailand, Turkey, Uganda, Ukraine, Uruguay.
HMRC has published a notice under regulation 1(3)(b) of the principal regulations, at /government/publications/notice-made-under-regulation-13b-of-the-international-tax-compliance-regulations-2015 . The notice, which has effect from 13 May 2025, specifies that the arrangements entered into by the United Kingdom with other territories for the exchange of tax information for the purposes of the adoption and implementation of the CRS are those entered into as at 16 April 2025.
The list of jurisdictions whose tax residents Financial Institutions must report on by 31 May 2025 under the Common Reporting Standard is unchanged from the last update in January 2025. The changes since the 2024 reporting year are that Armenia, Morocco, Rwanda, Senegal and Uganda have been added to the list and Brunei Darussalam, Lebanon, Macao (China), Montserrat, Niue, Samoa, St Vincent and the Grenadines and Vanuatu have been removed from the list. Whilst the jurisdictions removed from the list are not Reportable Jurisdictions for the 2025 reporting year, arrangements with them remain in place.
Note that all of the jurisdictions that have been added to the list of Reportable Jurisdictions for the 2025 reporting year completed both ratification of the Convention on Mutual Administrative Assistance in Tax Matters (MAC) and signing of the Multilateral Competent Authority Agreement on Automatic Exchange of Financial Account Information (MCAA) before 16 April 2025.
The following are Reportable Jurisdictions for the 2026 reporting year, in respect of 2025 reportable accounts:
Albania, Andorra, Antigua and Barbuda, Argentina, Armenia, Aruba, Australia, Austria, Azerbaijan, Barbados, Belgium, Belize, Brazil, Bulgaria, Canada, Chile, China, Colombia, Cook Islands, Costa Rica, Croatia, Curacao, Cyprus, Czech Republic, Denmark, Ecuador, Estonia, Faroe Islands, Finland, France, Georgia, Germany, Ghana, Gibraltar, Greece, Greenland, Grenada, Guernsey, Hong Kong (China), Hungary, Iceland, India, Indonesia, Ireland, Isle of Man, Israel, Italy, Jamaica, Japan, Jersey, Kazakhstan, Kenya, Korea, Latvia, Liechtenstein, Lithuania, Luxembourg, Malaysia, Maldives, Malta, Mauritius, Mexico, Moldova, Monaco, Netherlands, New Zealand, Nigeria, Norway, Pakistan, Panama, Peru, Poland, Portugal, Rwanda, San Marino, Saudi Arabia, Senegal, Seychelles, Singapore, St Kitts and Nevis, St Lucia, Slovak Republic, Slovenia, South Africa, Spain, Sweden, Switzerland, Taiwan, Thailand, Turkey, Uganda, Ukraine, Uruguay.
Update April 2026
HMRC has published a notice under regulation 1(3)(b) of the principal regulations, at /government/publications/notice-made-under-regulation-13b-of-the-international-tax-compliance-regulations-2015 . The notice, which has effect from 12 May 2026, specifies that the arrangements entered into by the United Kingdom with other territories for the exchange of tax information for the purposes of the adoption and implementation of the CRS are those entered into as at 15 April 2026.
HMRC has updated the list of jurisdictions whose tax residents Financial Institutions must report on by 31 May 2026 under the Common Reporting Standard. The change removes Cameroon and Morocco from the list for reporting to HMRC in May 2026, which means that reports sent by Financial Institutions should not include financial accounts held by tax residents of those jurisdictions. However, as this change is so close to the reporting date, HMRC recognises that Financial Institutions may already have compiled their files and may be unable to remove such accounts in time to allow reporting by 31 May 2026. If you are unable to remove data on Cameroon and Morocco financial accounts, please do not delay reporting to HMRC. HMRC will remove any data in respect of such financial accounts prior to exchange with reportable jurisdictions.
Whilst Cameroon and Morocco are not Reportable Jurisdictions for the 2026 reporting year, arrangements with these jurisdictions remain in place.