TFSA & PFIC Traps for US Citizens in Canada
If you are a US citizen or green card holder living in Canada, your "tax-free" TFSA and your everyday Canadian mutual funds can quietly become a US tax and reporting nightmare. The IRS taxes TFSA income and treats Canadian funds as PFICs. We clean it up and keep it compliant.
United States
Canada
The Three Account Traps
TFSA — not tax-free to the IRS
Income and gains inside a TFSA are taxable on your US return. Depending on the structure it can also be a foreign trust, triggering Form 3520 and 3520-A.
Canadian mutual funds = PFICs
Most Canadian funds and ETFs are PFICs. Each needs a separate Form 8621 yearly, with punitive default tax unless a QEF or mark-to-market election is made.
RRSP — the one with treaty cover
RRSPs generally get treaty deferral so growth is not taxed until withdrawal. They still need FBAR/8938 reporting but avoid the PFIC and trust traps.
What We Do
- Prepare Form 8621 for each PFIC, with QEF or mark-to-market election analysis to minimize tax
- File Form 3520 and 3520-A where a TFSA or RESP is treated as a foreign trust
- Apply RRSP treaty deferral correctly and report RRSP, TFSA, and RESP on FBAR and Form 8938
- Recommend a cleaner go-forward structure to avoid PFIC and trust reporting entirely
- Coordinate catch-up under the Streamlined Procedures if past years were missed
TFSA & PFIC FAQs
Is a TFSA taxable in the US?
Why are Canadian mutual funds a PFIC problem?
Is my RRSP taxed by the IRS?
What should I hold instead?
Untangle Your Cross-Border Accounts
A short call covers your TFSA, RRSP, and fund holdings and what compliant looks like for you. No commitment.