Form BE-180 Benchmark Survey of Financial Services Transactions betw

Benchmark Survey of Financial Services Transactions Between U.S Financial Services Providers and Foreign Persons

2024 BE-180 062424

BE-180 Benchmark Survey of Financial Services Transactions between U.S. Financial Services Providers and Foreign Persons

OMB: 0608-0062

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FORM

BE-180

OMB No. 0608-0062: Approval Expires Xx/Xx/Xxxx

(REV. 01/2025)

BE-180 Identification Number

2024 BENCHMARK SURVEY OF FINANCIAL SERVICES TRANSACTIONS
BETWEEN U.S. FINANCIAL SERVICES PROVIDERS AND FOREIGN PERSONS
FORM BE-180
Due date:
July 31, 2025
Extension information: 	
See Part VIII.B, page 27 of the General
Instructions.
Electronic filing:
www.bea.gov/efile

Name and address of U.S. Reporter
10001

Company Name:
0

10001

In care of:
1

Mail via U.S. Postal Service: 	
Bureau of Economic Analysis
Balance of Payments Division, BE-50 (SSB)
4600 Silver Hill Rd.
Washington, DC 20233

10002

Send via Private Express Delivery:
Bureau of Economic Analysis
Balance of Payments Division, BE-50 (SSB)
4600 Silver Hill Rd.
Suitland, MD 20746

10004

Attention:
0

10003

Address:
0

10004_1 State

City
0

10004_2 Zip

Assistance:
E-mail: [email protected]
Telephone: (301) 278-9303
FAQ’s, blank forms, and more: www.bea.gov/be180

Fax reports to:
(301) 278-9508
BE-180 Filing Requirements:

•	A response is required if you are notified by BEA about this survey.

If the notified U.S. Reporter did not have any transactions with foreign
persons in the types of financial services covered by this survey during its fiscal year (FY) 2024, complete the survey through Question 7
on page 5. See page 4 for the list of covered services. Definitions for each service type can be found in the General Instructions beginning
on page 24.
•	A BE-180 survey is required of each U.S. person that is a financial service provider or intermediary, or whose consolidated U.S. enterprise includes a
separately organized subsidiary, or part, that is a financial services provider or intermediary, that had financial services transactions with foreign persons in
the covered types of financial services during its FY 2024, even if they are not notified by BEA about the survey. A U.S. person whose combined sales of
covered services to foreign persons were equal to or less than $3 million during the previous fiscal year, and whose combined purchases
of covered services from foreign persons wereequal to or less than $3 million during FY 2024 is required to complete the survey through
Question 7 on page 5.

•	A U.S. person whose combined sales of covered services to foreign persons exceeded $3 million during its FY 2024, or whose combined
purchases of covered services from foreign persons exceeded $3 million during FY 2024 must complete the survey in its entirety.

NOTE: The $3 million thresholds apply separately to sales and purchases. Therefore, Reporting requirements may apply only to sales, only purchases, or to
both. For more information on filing requirements, see the General Instructions on page 21.

Authority, Confidentiality, Penalties
This survey is authorized by the International Investment and Trade in Services Survey Act (P.L. 94-472, 90 Stat. 2059, 22 U.S.C. 3101-3108, as amended),
and by Section 5408 of the Omnibus Trade and Competitiveness Act of 1988 (P.L. 100-418, 15 U.S.C. 4908(b)). The filing of reports is mandatory, and the
Act provides that your report to BEA is confidential. Persons who fail to report may be subject to penalties. See page 21 of the General Instructions for
additional details.

Contact Information

Provide information of person to consult about this report:
Fax Number

Name and Title
10005

0

Telephone Number
10006

0

10007

Extension

0

E-mail Address
10008

0

NOTE: BEA uses a Secure Messaging System to correspond with you via encrypted message to discuss questions relating to this form. We may use
your e-mail address for survey-related announcements and to inform you about secure messages. When communicating with BEA by e-mail, please do
not include any confidential business or personal information.

Certification

The undersigned official certifies that this report has been prepared in accordance with the applicable instructions, is complete, and is
substantially accurate including estimates that may have been provided.
Signature of Authorized Official

Date

Name

Title

Telephone Number

Extension

Identification of U.S. Reporter
1 	 What is the U.S. Reporter’s fiscal year covered in this report?
Use these dates as the reporting period for the subsequent survey questions.
Month

Day

Year

10010 1

__ __ / __ __ / __ __ __ __

Beginning date. . . . . . .

Month

Day

Year

10010 2

2 __
0 __
2 __
4
__ __ / __ __ / __

Ending date. . . . . . . . . .

2

	 What was the status of the U.S. Reporter during the reporting period identified in Question
10014

1
1

1  ?

In existence the entire reporting period – Continue filling out this form.
	
2 	In existence during only part of the reporting period – Continue filling out this form for the portion of the reporting period your
1

company was in existence and, in the comments section below, explain why your company did not exist for a part of the period.

1

3

	Not in existence during the reporting period – In the comments section below, explain why your company was not in existence
during the reporting period. Please return form according to instructions on page 1.

3

	 Was the U.S. Reporter owned more than 50 percent by another U.S. entity or business enterprise at any point during the reporting period
identified in Question 1 ? See Part IV.F on page 23 of the General Instructions for the definition of business enterprise.
10015

1

1

1

2

No — Continue filling out this form.
	
Yes — Check A or B:
	
2
1 	
A – Owned by another U.S. person for part of the reporting period — Enter the name, contact information, and

address of the controlling U.S. person below and continue filling out this form, but only report transactions for
the period during which your company was NOT owned by another U.S. person. Provide any comments in the
section below.

2

2

B – Owned by another U.S. person for the entire reporting period — Enter the name, contact information, and
	

address of the controlling U.S. person below, provide any comments in the section below, and return this form
according to the instructions on page 1.

10016

Name

10017

Contact name

10019

Address — Number and street

10020

City

Comments

0

0

10018 Phone number
0

0

10021 State

10022 Zip

0

0

0

4 	 What is the primary Employer Identification Number used by the U.S. Reporter to file U.S. income or payroll taxes?
10013

1

___ ___ – ___ ___ ___ ___ ___ ___ ___

5 	 Does the U.S. Reporter have a Legal Entity Identifier (LEI?)
10023

1

1

Yes — If “Yes” – enter the 20 digit LEI of the U.S. Reporter.
	
2

__ __ __ __ __ __ __ __ __ __ __ __ __ __ __ __ __ __ __ __
1

2

 No — If "No" you are not required to obtain an LEI for the purpose of filing the BE-180 survey.
➙ Continue to the next page
●

Page 2	

FORM BE-180 (REV. 01/2025)

Determination of Reporting Status
Determining Reportable and Non-Reportable Transactions
The scope of this survey is limited to transactions in financial services between the consolidated domestic U.S. Reporter and foreign persons.* A full
list of the types of services covered is located in   Table 1  beginning on the next page. Additional information, including FAQ’s, blank forms, and more,
can be found at: www.bea.gov/be180.
* Person, when used throughout this survey, means any individual, branch, partnership, associated group, association, estate, trust, corporation, or
other organization (whether or not organized under the laws of any State), and any government (including a foreign government, the United States
Government, a state or local government, and any agency, corporation, financial institution, or other entity or instrumentality thereof, including a
government sponsored agency).

✓
REPORT transactions
between the U.S. Reporter
and all foreign persons,
regardless of the relationship
between the U.S. Reporter
and the foreign persons. See
Part V.D. on page 24 for more
information on reporting
relationships.

✖
DO NOT REPORT transactions
between the U.S. Reporter’s
foreign affiliates or foreign
parent group and other foreign
persons.

✖

DO REPORT:

	Financial services transactions between your consolidated domestic U.S. operations and all foreign persons, regardless of affiliation, including
inter-company transactions that you may not consider transactions under global consolidation.

	Services performed on a cross-border basis, wherein the service is performed remotely by internet, e-mail, telephone, postal service, etc.
	Services performed in person, wherein the service is performed for, or by, an individual temporarily traveling abroad.
DO NOT REPORT:

1	 Transactions between the U.S. Reporter’s foreign affiliates and other foreign persons.
1	 Transactions between other U.S. persons and foreign affiliates of the U.S. Reporter.
1	 Transactions between the U.S. Reporter’s domestic operations and other U.S. persons.
1	 The sale or purchase of goods.
1	 Income on financial instruments (including interest, dividends, capital gains, etc.).
1	 Insurance premiums and losses, and commissions on insurance.
1	 Real estate brokerage fees (real estate services), business brokerage fees (business services), and commodity or merchandise brokerage fees
(wholesale or retail trade services).

See Part VII. on page 27 of the General Instructions for a complete list of types of financial transactions not to be reported.
More information about the scope and purpose of this survey can be found in the General Instructions beginning on page 21.

➙ Continue to the next page
●
FORM BE-180 (REV. 01/2025)	

Page 3

Determination of Reporting Status
REPORTING INSTRUCTIONS – Table 1 (below) lists the types of reportable financial services transactions covered by this survey. For each type
listed, enter the U.S. Reporter’s total transactions with foreign persons during the reporting period identified in Question 1 of the survey. Enter the U.S.
Reporter’s total sales to foreign persons in column 3, and the U.S. Reporter’s total purchases from foreign persons in column 4.
NOTE: Definitions of the types of financial services transactions covered in Table 1 can be found in Part VI. of the General Instructions beginning on
page 24. After completing Table 1  , continue to the next page.
Bil.

IMPORTANT – Report amounts in thousands of U.S. dollars (omitting 000).
Round amounts of less than $500.00 to 0. Do not enter amounts in the shaded portions of each item.

Mil.

Thous.

Dols.

1

335

000

1

EXAMPLE: If amount is $1,334,891.00, report as. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . .

$

Table 1 U.S. Reporter’s Transactions with Foreign Persons
Service
code

Type of service

(1)

(2)

1

Brokerage services related to equity transactions.....................................................

Total sales to all
foreign countries
(3)
$ Bil. Mil. Thous. Dols.

$ Bil. Mil. Thous. Dols.

1

2

000

22101
1

2.1

Brokerage services related to debt transactions....................................................

000

221021

000

Other brokerage services (excluding debt/equity transactions).............................. 221022
Underwriting and private placement services related to equity transactions................
Underwriting and private placement services related to debt transactions...................

000

22103

Financial management services1 ............................................................................

000

22104

Credit-related services, except credit card services ................................................

000

22105

Credit card services2...............................................................................................

000

22106

000

22107

000

Financial advisory services3.................................................................................... 221081

000

Financial custody services3................................................................................................................ 221082
Securities lending services......................................................................................
Electronic funds transfer services............................................................................

000

22109

Other financial services4..........................................................................................

000
2

000

22110
1

10

000
2

1

9

000
2

1

8

000
2

1

7.2

000
2

1

7.1

000
2

1

6

000
2

1

5

000
2

1

4

000
2

1

3.2

000
2

1

3.1

000
2

1

2.2

Total purchases from
all foreign countries
(4)

22111

000
2

000

000

1

Financial management services - only report transactions where the service provider has the authority to direct the use or investment of funds or other
assets. See Part VI. of the General Instructions on page 25 for more detail.
2

Credit Card Services- only report transactions where the financial service entity is also the card network provider.

3

Financial advisory and Financial custody services - only report transactions where the service provider does not have the authority to direct the use or
investment of funds or other assets. See Part VI. of the General Instructions on page 26 for more detail.
4

Other financial services - include asset pricing services, security exchange listing fees, demand deposit fees, securities rating services, check
processing fees, mutual fund exit fees, load charges, 12b-1 service fees, hedge fund exit fees, security redemption or transfer service fees, ATM network
service fees, securities or futures clearing and settling service fees, and brokerage services not already covered under service codes 1, 2.1, or 2.2, such
as arranging joint ventures and crypto-wallet fees, and any other financial services not covered above or in the exclusions list on page 27 of the General
Instructions.

➙ Continue to the next page
●
Page 4	

FORM BE-180 (REV. 01/2025)

Determination of Reporting Status – Continued
Bil.

Mil.

Thous.

Dols.

1

6 	 Enter the total sales to foreign persons (sum of column 3 in Table 1 ) here
	

22112

$

000

Did you report total sales to foreign persons greater than $3 million in Table 1 on page 4?
22114

1

1

Yes – For each of the service types with sales greater than $500.00 during the reporting period, you are required to report
	

additional details on the country and affiliation to the foreign transactor(s) on Schedule A  . Complete a separate Schedule
for each applicable service code. Additionally, you must also complete Schedule C on page 18. Continue to the next question.

1

2

No – If your total sales to foreign persons were $3 million or less during the reporting period, you are requested, but not required to
	

report additional details on the country and affiliation with the transactor(s) on Schedule A  , and Schedule C . Continue to the
next question.

Bil.

Mil.

Thous.

Dols.

1

7 	 Enter the total purchases from foreign persons (sum of column 4 in Table 1 ) here
	

22113

$

000

Did you report total purchases from foreign persons greater than $3 million in Table 1 on page 4?
22115

1

1

Yes – For each of the service types with purchases greater than $500.00 during the reporting period, you are required to report
	
additional details on the country and affiliation to the foreign transactor(s) on Schedule B  . Complete a separate Schedule
for each applicable service code. Additionally, you must also complete Schedule D on page 20.

1

2

No – If your total purchases from foreign persons were $3 million or less during the reporting period, you are requested, but not
	
required to report  additional details on the country and affiliation with the transactor(s) on Schedule B  , and Schedule D  .

If you answered “Yes” to either Question 6 or Question 7 , continue with the remainder of the survey, and answer Questions 8-19
before completing Schedules A–D, as required.
If you answered “No” to both Question 6 and Question 7 , but wish to provide additional information on a voluntary basis, continue with
the remainder of survey, and answer Questions 8-19 before completing Schedules A–D, as requested.



If you answered “No” to both Question 6 and Question 7 , and do not wish to provide additional information on a voluntary basis, STOP
here and return the form according to the instructions on page 1.

Comments

FORM BE-180 (REV. 01/2025)	

Page 5

U.S. Reporter’s Domestic Employment and Industry Classification

8 	 What range below represents the consolidated domestic U.S. Reporter’s number of U.S. employees at the end of FY 2024?
	

Include part-time employees, but exclude temporary and contract employees not included on your payroll records. A count taken at some
other date during the reporting period may be used if it is a reasonable estimate of employees on the payroll at the end of FY 2024. If the
number of employees at the end of FY 2024 (or when the count was taken) was unusually high or low due to temporary factors (e.g., a
strike), select the range of employees that reflects normal operations. If the number of employees fluctuates widely during the year due to
seasonal business variations, select the average number of employees on the payroll during FY 2024. Base such an average on the number
of employees on the payroll at the end of each pay period, month, or quarter. 						
11014 1

			
			

			
			
			

1

1

2

1

3

1

4

1

5

1

 0 employees (e.g. Sole Proprietorship)	 1 6  250-499 employees
7
 1-19 employees				
 500-999 employees
1
8
 20-49 employees			 1  1,000-9,999 employees
9
 50-99 employees			
 More than 9,999 employees
 100-249 employees			

9 	 Using the summary of industry classifications on the next page, as well as the example below, what is the 4-digit code that best
describes the primary sales activity of the consolidated domestic U.S. Reporter?
11008

1

__ __ __ __

EXAMPLE FOR DETERMINING PRIMARY SALES ACTIVITY (NAICS CODE)
Report the industry code that best describes the primary sales activity of the consolidated domestic U.S. Reporter. For example, if 60% of
the consolidated domestic U.S. Reporter’s sales are generated by Affiliate A, a U.S. automobile manufacturer (NAICS 3361), and 40% of the
consolidated domestic U.S. Reporter’s sales are generated by Affiliate B, an industrial engineering company (NAICS 5413), then you should
report your industry code as 3361.

Consolidated domestic
U.S. Reporter
($50 Million Total Sales)

U.S. Affiliate A
NAICS 3361
($30 Million Total Sales)

Use NAICS 3361 because U.S. Affiliate
A's sales are greater than U.S. Affiliate
B's.

U.S. Affiliate B
NAICS 5413
($20 Million Total Sales)

➙ Continue to page 8 after completing Question
●

Page 6	

9

FORM BE-180 (REV. 01/2025)

Summary of Industry Classifications – For a full explanation of each code see www.bea.gov/naics2022
Agriculture, Forestry, Fishing, and Hunting
1110 	
1120 	
1130 	
1140 	
1150 	

Crop production
Animal production and aquaculture
Forestry and logging
Fishing, hunting, and trapping
Support activities for agriculture and forestry

Mining, Quarrying, and Oil & Gas
Extraction
2111 	
2121 	
2123 	
2124 	
2125 	
2126 	
2127 	
2132 	
2133 	
	

Oil and gas extraction
Coal
Nonmetallic minerals
Iron ores
Gold and silver ores
Copper, nickel, lead, and zinc ores
Other metal ores
Support activities for oil and gas operations
Support activities for mining, except
for oil and gas operations

Utilities
2211 	
	
2212 	
2213 	

Electric power generation,
transmission, and distribution
Natural gas distribution
Water, sewage, and other systems

Construction
2360 	 Construction of buildings
2370 	 Heavy and civil engineering construction
2380 	 Specialty trade contractors

Manufacturing
3111 	
3112 	
3113 	
3114 	
	
3115 	
3116 	
3117 	
3118 	
3119 	
3121 	
3122 	
3130 	
3140 	
3150 	
3160 	
3210 	
3221 	
3222 	
3231 	
3242 	
3243 	
3244 	
	
3251 	
3252 	
	
3253 	
	
3254 	
3255 	
3256 	
	
3259 	
3261 	
3262 	
3271 	
3272 	
3273 	
3274 	
3279 	
3311 	
3312 	
3313 	
	
3314 	
	
3315 	
3321 	
3322 	
3323 	
3324 	
3325 	
3326 	
3327 	
	
3328 	
	
3329 	
3331 	

Animal food manufacturing
Grain and oilseed milling
Sugar and confectionery products
Fruit and vegetable preserving and
specialty foods
Dairy products
Meat products
Seafood product preparation and packaging
Bakeries and tortilla manufacturing
Other food products
Beverages
Tobacco
Textile mills
Textile product mills
Apparel
Leather and allied products
Wood products
Pulp, paper, and paperboard mills
Converted paper products
Printing and related support activities
Integrated petroleum refining and extraction
Petroleum refining without extraction
Asphalt and other petroleum and
coal products
Basic chemicals
Resins, synthetic rubbers, and artificial
and synthetic fibers and filaments
Pesticides, fertilizers, and other
agricultural chemicals
Pharmaceuticals and medicines
Paints, coatings, and adhesives
Soap, cleaning compounds, and
toilet preparations
Other chemical products and preparations
Plastics products
Rubber products
Clay products and refractories
Glass and glass products
Cement and concrete products
Lime and gypsum products
Other nonmetallic mineral products
Iron and steel mills
Steel products from purchased steel
Alumina and aluminum production
and processing
Nonferrous metal (except aluminum)
production and processing
Foundries
Forging and stamping
Cutlery and hand tools
Architectural and structural metals
Boilers, tanks, and shipping containers
Hardware
Spring and wire products
Machine shop products, turned products, and 	
screws, nuts, and bolts
Coating, engraving, heat treating,
and allied activities
Other fabricated metal products
Agriculture, construction, and mining machinery

FORM BE-180 (REV. 01/2025)	

3332 	
3333 	
3334 	
	
3335	
3336 	
	
3339 	
3341 	
3342 	
3343 	
3344 	
	
3345 	
	
3346 	
	
3351 	
3352 	
3353 	
3359 	
3361 	
3362 	
3363 	
3364 	
3365 	
3366 	
3369 	
3370 	
3391 	
3399 	

Information

Industrial machinery
Commercial and service industry machinery
Ventilation, heating, air-conditioning,
and commercial refrigeration equipment
Metalworking machinery
Engines, turbines, and power 			
transmission equipment
Other general purpose machinery
Computer and peripheral equipment
Communications equipment
Audio and video equipment
Semiconductors and other
electronic components
Navigational, measuring, electromedical,
and control instruments
Manufacturing and reproducing
magnetic and optical media
Electric lighting equipment
Household appliances
Electrical equipment
Other electrical equipment and components
Motor vehicles
Motor vehicle bodies and trailers
Motor vehicle parts
Aerospace products and parts
Railroad rolling stock
Ship and boat building
Other transportation equipment
Furniture and related products
Medical equipment and supplies
Other miscellaneous manufacturing

5121 	 Motion picture and video industries
5122 	 Sound recording industries
5131	 Newspaper, periodical, book, and directory publishers
5132	 Software publishers
5161	 Radio and television broadcasting stations
5162	 Media streaming distribution services, social networks, and 	
	
other media networks and content providers
5171	 Wired and wireless telecommunications (except satellite)
5174 	 Satellite telecommunications
5178	 All other telecommunications
5182 	 Computing infrastructure providers, data processing, web 	
	
hosting, and related services
5192	 Web search portals, libraries, archives, and other information 	
	services

Finance and Insurance
5221 	 Depository credit intermediation (Banking)
5223 	 Activities related to credit intermediation
5224 	 Non-depository credit intermediation, except 		
	
branches and agencies
5229 	 Non-depository branches and agencies
5231 	 Securities and commodity contracts
	
intermediation and brokerage
5238 	 Other financial investment activities and
	exchanges
5242 	 Agencies, brokerages, and other insurance
	
related activities
5243 	 Insurance carriers, except direct life insurance carriers
5249 	 Direct life insurance carriers
5252 	 Funds, trusts, and other finance vehicles

Real Estate and Rental and Leasing

Wholesale Trade, Durable Goods
4231 	 Motor vehicles and motor vehicle parts and
supplies
4232 	 Furniture and home furnishing
4233 	 Lumber and other construction materials
4234 	 Professional and commercial
	
equipment and supplies
4235 	 Metal and mineral (except petroleum)
4236 	 Household appliances, and electrical and
	
electronic goods
4237 	 Hardware, and plumbing and heating
	
equipment and supplies
4238 	 Machinery, equipment, and supplies
4239 	 Miscellaneous durable goods

Wholesale Trade, Non-Durable Goods
4241 	
4242 	
4243 	
4244 	
4245 	
4246 	
4247 	
4248 	
4249 	

Paper and paper product
Drugs and druggists’ sundries
Apparel, piece goods, and notions
Grocery and related product
Farm product raw material
Chemical and allied products
Petroleum and petroleum products
Beer, wine, and distilled alcoholic beverage
Miscellaneous nondurable goods

Wholesale Trade Agents and Brokers
4251 	 Wholesale trade agents and brokers

Retail Trade
4410 	
4440 	
	
4450 	
4491	
4492 	
4550	
4561	
4571 	
4572 	
4580	

Motor vehicle and parts dealers
Building material and garden equipment
and supplies dealers
Food and beverage retailers
Furniture and home furnishings retailers
Electronics and appliance retailers
General merchandise retailers
Health and personal care retailers
Gasoline stations
Fuel dealers
Clothing, clothing accessories, shoe, and
	
jewelry retailers
4591 	 Sporting goods, hobby, and musical instrument 	
	retailers
4592	 Book retailers and news dealers
4596 	 Miscellaneous retailers

Transportation and Warehousing
4810 	
4821 	
4833 	
4839 	
4840 	
4850 	
4863 	
	
4868 	
4870 	
4880 	
4920 	
4932 	
4939 	

Air transportation
Rail transportation
Petroleum tanker operations
Other water transportation
Truck transportation
Transit and ground passenger transportation
Pipeline transportation of crude oil,
refined petroleum products, and natural gas
Other pipeline transportation
Scenic and sightseeing transportation
Support activities for transportation
Couriers and messengers
Petroleum storage for hire
Other warehousing and storage

	

5310 	
5321 	
5329 	
5331 	
	

Real estate
Automotive equipment rental and leasing
Other rental and leasing services
Lessors of nonfinancial intangible assets,
except copyrighted works

Professional, Scientific, and Technical Services
5411 	
5412 	
	
5413 	
5414 	
5415 	
5416 	
5417 	
5418 	
5419 	

Legal services
Accounting, tax preparation, bookkeeping, 		
and payroll services
Architectural, engineering, and related services
Specialized design services
Computer systems design and related services
Management, scientific, and technical consulting services
Scientific research and development services
Advertising, public relations, and related services
Other professional, scientific, and technical services

Management of Companies and Enterprises
5512 	 Holding companies, except bank holding companies
5513 	 Corporate, subsidiary, and regional management offices

Administrative and Support, Waste
Management, and Remediation Services
5611 	
5612 	
5613 	
5614 	
5615 	
5616 	
5617 	
5619 	
5620 	

Office administrative services
Facilities support services
Employment services
Business support services
Travel arrangement and reservation services
Investigation and security services
Services to buildings and dwellings
Other support services
Waste management and remediation services

Educational Services
6110 	 Educational services

Health Care and Social Assistance
6210 	
6220 	
6230 	
6240 	

Ambulatory health care services
Hospitals
Nursing and residential care facilities
Social assistance services

Arts, Entertainment, and Recreation
7110 	 Performing arts, spectator sports, and related industries
7121 	 Museums, historical sites, and similar institutions
7130 	 Amusement, gambling, and recreation industries

Accommodation and Food Services
7210 	 Accommodation
7220 	 Food services and drinking places

Other Services
8110 	
8120 	
8130 	
	

Repair and maintenance
Personal and laundry services
Religious, grantmaking, civic, professional, 		
and similar organizations

Public Administration
9200 	 Public administration

Page 7

Primary Location(s) of U.S. Reporter’s Sales to Foreign Persons

 10

	 Did you have any sales of services to foreign persons during the reporting period (was the amount reported in Question
than zero)?	

Bil.

	
Amount reported in Question 6

	

11015
			
		

			

1

1

.....................	

Mil.

$

Thous.

6 greater

Dols.

000

 Yes – You are required to provide additional information on the U.S. geographic area where those sales were performed or 	
recognized. Continue to the next question.

1

2

 No — Skip to the next page.

	
11 	 In what states, districts, or territories did the U.S. Reporter conduct its sales activities with foreign persons?
	

In column 1 of the table below, indicate the U.S. state(s), district(s), or territory(ies) where the largest percentage of your company’s sales to
foreign persons were performed. If you are unable to determine where the services were performed, or if the services were not performed in the
United States, please attribute sales to the location where the revenues were recognized in your accounting records.

	

In column 2, provide an approximate percentage of the amount reported in Question 6 that correspond with the location indicated in column 1.
If possible, please provide up to three location/percentage combinations. The total amount reported may add up to less than 100%.

U.S. Locations Performing the Largest
Percentages of the U.S. Reporter’s Sales
to Foreign Persons

U.S. state/district/territory
(1)

Percentage of
sales reported in
Question 6
(2)

11016

%

11017

%

11018

%

➙ Continue to the next page
●
Page 8	

FORM BE-180 (REV. 01/2025)

Primary Location(s) of U.S. Reporter’s Purchases from Foreign Persons

 12

	 Did you have any purchases of services from foreign persons during the reporting period (was the amount reported in
greater than zero)?

	

Bil.

Amount reported in Question 7 ..............................

11019
			
		

			

1

1

Mil.

Thous.

$

Question 7

Dols.

000

 Yes – You are required to provide additional information on the location where those purchases were consumed or 		
recognized. Continue to the next question.

1

2

 No — Skip to the next page.

	
13 	 Where did the U.S. Reporter’s purchases from foreign persons occur?
	

In column 1 of the table below, indicate the U.S. state(s), district(s), or territory(ies) where the largest percentage of your company’s purchases
from foreign persons were consumed. If you are unable to determine where the services were consumed, or if the services were not consumed in
the United States, please attribute purchases to the location where the payments were recognized in your accounting records.

	

In column 2, provide an approximate percentage of the amount reported in Question 7 that correspond with the location indicated in column 1.
If possible, please provide up to three location/percentage combinations. The total amount reported may add up to less than 100%

U.S. Locations Consuming the Largest
Percentages of the U.S. Reporter’s
Purchases from Foreign Persons

U.S. state/district/territory
(1)

Percentage of
purchases reported
in Question 7
(2)

11020

%

11021

%

11022

%

➙ Continue to the next page
●
FORM BE-180 (REV. 01/2025)	

Page 9

For Reporters of Sales of Financial Management Services
14

Will you be reporting sales of financial management services (service code 4) on Schedule A  ?
22116

1

1

1

2

Yes – Distribute your total sales to foreign persons for financial management services by the types of accounts below.
	
No – Skip to Question 17  on the next page.
	
Management of: (Complete all that apply)

$

Bil.

Mil.

Thous. Dols.

1

Mutual funds . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 

000

22117
1

Pension funds . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 

000

22118
1

Exchange-traded funds. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 

000

22119
1

Private equity funds. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 

000

22120
1

000

Corporate portfolio���������������������������������������������������������������������� 22121
1

Individual portfolio. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 

000

22122
1

Hedge funds . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 

000

22123
1

Trusts. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 
22125

000

22124
1

0

Other (specify) –

000

. . . . 22125

15  	 Do the amounts reported in Question 14 include any receipts for performance or incentive fees?
22126 1

1

1

2

Yes – Continue to the next question.
	
No – Skip to Question 17  on the next page.
	

16  	 In the table below, enter your company’s receipts from foreign persons for performance fees based on when they were recorded in
the U.S. Reporter’s accounts in FY 2024.

Fiscal Quarter

$

Bil.

Mil.

Thous. Dols.

1

000

First Quarter . . . . . . . . . . .  22127
1

000

Second Quarter. . . . . . . . .  22128
1

000

Third Quarter. . . . . . . . . . .  22129
1

000

Fourth Quarter. . . . . . . . . .  22130
1

Total . . . . . . . . . . . . . . . . .  22131

000

➙ Continue to the next page
●
Page 10	

FORM BE-180 (REV. 01/2025)

For Reporters of Purchases of Financial Management Services
17  	 Will you be reporting purchases of financial management services (service code 4) on Schedule B ?
22132 1 1
1

2

 No – Continue to the next page.
	Yes – Distribute your total purchases from foreign persons for financial management services by the types of accounts below.
Management of: (Complete all that apply)

$

Bil.

Mil.

Thous. Dols.

1

Mutual funds . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 

000

22133
1

Pension funds . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 

000

22134
1

Exchange-traded funds. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 

000

22135
1

Private equity funds. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 

000

22136
1

000

Corporate portfolio���������������������������������������������������������������������� 22137
1

Individual portfolio. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 

000

22138
1

Hedge funds . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 

000

22139
1

Trusts. . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . . 
22141

000

22140
1

0

Other (specify) –

000

. . . . 22141

18  	 Do the amounts reported in Question 17  include any payments for performance or incentive fees?
22142 1

1

1

2

	Yes – Continue to the next question.
	No – Skip to Question 20 on the next page.

19  	 In the table below, enter your company’s payments to foreign persons for performance fees based on when they were recorded in
the U.S. Reporter’s accounts in FY 2024.
Fiscal Quarter

$

Bil.

Mil.

Thous. Dols.

1

000

First Quarter . . . . . . . . . . .  22143
1

000

Second Quarter. . . . . . . . .  22144
1

000

Third Quarter. . . . . . . . . . .  22145
1

000

Fourth Quarter. . . . . . . . . .  22146
1

Total . . . . . . . . . . . . . . . . .  22147

000

➙ Continue to the next page
●

FORM BE-180 (REV. 01/2025)	

Page 11

Understanding Reporting Relationships
(For use on  Schedules A  and  B )
Transactions accrued during the reporting period should be reported by the country of the foreign transactor, and by the foreign transactor’s relationship
to the U.S. Reporter . The relationship between the U.S. Reporter and the foreign transactor falls into one of three categories:
Foreign Affiliates – A foreign affiliate is defined as an entity domiciled in a foreign country that is owned at least 10 percent (based on voting
interest), directly or indirectly, by the U.S. Reporter.
Foreign Parent Group – Foreign Parents Group means all of the following:
(i)	 the foreign parent, which is the first entity outside the United States in a foreign chain of ownership, that owns at least 10 percent (based on voting
interest), directly or indirectly, of the consolidated domestic U.S. business enterprise,
(ii)	 any foreign entity proceeding up the foreign parent’s ownership chain that owns more than 50 percent of the entity below it up to and including the
entity that is not owned more than 50 percent by another foreign entity,
(iii)	any foreign entity, proceeding down the ownership chain(s) of each of these members, that is owned more than 50 percent by the entity above it.
Unaffiliated Foreign Persons – An unaffiliated foreign person is an entity domiciled abroad that is not owned, or is owned less than 10 percent,
directly or indirectly, by the U.S. Reporter or the U.S. Reporter’s foreign parent, or otherwise does not meet the criteria of a foreign affiliate or member of
the U.S. Reporter's foreign parent group.
The diagram below illustrates each of these relationships with regards to the U.S. Reporter. Additional reporting instructions are provided prior to
each Schedule on pages 13 and 15.

COMPANY A (Germany)
Foreign Parent of the Consolidated domestic
U.S. Reporter

COMPANY B (Germany)
49% owned by Company A
Unaffiliated Foreign Person
NOTE: “Company B” is not a foreign affiliate
of the foreign parent nor part of the foreign
parent group since it is not owned, nor does
it own another foreign entity, more than 50
percent within the foreign ownership chain.
Also, “Company B” is not a foreign affiliate
of the Consolidated domestic U.S. Reporter
since it is not owned at least 10 percent by
the Consolidated domestic U.S. Reporter.

Member of Foreign Parent Group
Owns 100% of Company C and the
Consolidated U.S. Reporter

COMPANY C (France)
Wholly owned by Company A
Member of Foreign Parent Group

CONSOLIDATED DOMESTIC
U.S. REPORTER
(USA)
(The U.S. person filing this BE-180)
Owns >10% of Companies D, E, and F

COMPANY E (Mexico)

COMPANY D (USA)

COMPANY F (United Kingdom)

20% owned by Consolidated
domestic U.S. Reporter

Subsidiary, owned 100% by Consolidated

50% owned by Consolidated
domestic U.S. Reporter

Foreign Affiliate

Company D’s transactions with foreign
persons are consolidated into the U.S.
Reporter’s BE-180 filing

Foreign Affiliate

COMPANY G (Switzerland)

COMPANY H (Ghana)

5% owned by Consolidated
domestic U.S. Reporter

No ownership relationship with
any other company

Unaffiliated Foreign Person

Unaffiliated Foreign Person

➙ Continue to
●
Page 12	

domestic U.S. Reporter

Schedules A – D as required, based on your responses to Questions 6 and 7 on page 5

FORM BE-180 (REV. 01/2025)

SCHEDULE A – U.S. Reporter’s Sales of Financial Services to Foreign Persons
REPORTING INSTRUCTIONS – Schedule A
Complete a separate Schedule A for each service type with sales greater than $500.00, as indicated in Table 1 on page 4. If you are
reporting sales of more than one service type, or need to report additional country detail, please use the overflow sheets provided (pages
28-30 of the survey) or download additional overflow sheets at www.bea.gov/be180. (eFile users – select “Add overflow” from the Report
Homepage.)
Sales accrued during the reporting period should be reported by service type and according to the U.S. Reporter’s affiliation with the purchaser. ONLY
report transactions between the U.S. Reporter’s domestic operations and foreign persons. DO NOT report sales between the U.S. Reporter’s foreign
affiliates and foreign persons, between the U.S. Reporter’s domestic operations and other U.S. persons, or sales between other U.S. persons and the U.S.
Reporter’s foreign affiliates.
Table 1   on page 4 identifies the types of services that are reportable on Schedule A and corresponding numerical service codes (from column 1
of the Table ). Columns 3, 4, and 5 on Schedule A correspond to the U.S. Reporter’s affiliation with the foreign purchaser.
How to Report:
1. 	For each service type that is reportable, enter or select the associated service code from the dropdown box at the top of Schedule A .
2. 	Enter or select the country(ies) with which you had sales of this service type in the left most column of Schedule A (SALES TO – Specify country).
3. 	For each country, enter the total value of the sale(s) you had of this service type during the reporting period in the column that corresponds to the
purchaser’s relationship with the U.S. Reporter (see page 12 for more information on reporting relationships):
Report in
column

Relationship with consolidated domestic U.S. Reporter

3

Transactions between the U.S. Reporter and a foreign affiliate

4

Transactions between the U.S. Reporter and its foreign parent group

5

Transactions between the U.S. Reporter and unaffiliated foreign persons

Example:
Your company sold credit card services to persons in Australia. Sales of $325,000.00 were to a foreign affiliate of the U.S. Reporter, and sales of
$2,240,000.00 were to an unaffiliated foreign person.
First, select service code 6, credit card services, from the dropdown box at the top of Schedule A ;

Second, enter or select “Australia” from the dropdown box in the first column of row 1. Lastly, enter “325” in the column marked  Foreign affiliates  and
“2,240” in the column marked  Unaffiliated foreign persons .
IMPORTANT – Report amounts in thousands of U.S. dollars (omitting 000). Round amounts of less than $500.00 to 0. Do not enter amounts in the
shaded portions of each item.

If you are reporting sales of more than one transaction type, or need to report additional country detail, please use the overflow sheets
provided (pages 28-30 of the survey) or download additional overflow sheets at www.bea.gov/be180. (eFile users – select “Add overflow” from
the Report Homepage.)
FORM BE-180 (REV. 01/2025)	

Page 13

SCHEDULE A – U.S. Reporter’s Sales of Financial Services to Foreign Persons
Complete a separate Schedule A for each service type with sales greater than $500.00 during the reporting period. If you are reporting sales
of more than one service type, or need to report additional country detail, please use the overflow sheets provided (pages 28-30 of the survey)
or download additional overflow sheets at www.bea.gov/be180. (eFile users – select “Add overflow” from the Report Homepage.)
REPORT IN THOUSANDS OF U.S. DOLLARS (e.g., report $1,334,891.00 as 1,335).
Service Code

BEA USE
ONLY

SALES TO

__________

(Specify country)

Foreign affiliates
(3)
(1)
A1000

1.

002

2.

003

3.

004

4.

005

5.

006

6.

007

7.

008

8.

009

9.

010

10.

011

11.

012

12.

013

13.

014

14.

015

15.

016

16.

017

17.

018

18.

019

19.

020

20.

021

21.

022

22.

023

23.

024

24.

025

25.

026

26.

027

27.

028

28.

029

29.

030

30.

031

31.

032

32.

033

33. Total all countries this page

001

Foreign parent group
(4)

Unaffiliated foreign persons
(5)

See page 12 for more information about reporting relationships

(2)

1

2

3

4

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

000
000
000
000
000
000
000
000
000
000
000
000
000

4

1

2

3

4

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000

1

2

3

000

4
4
4
4
4
4
4
4
4
4
4
4

4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4

5

000
000
000
000
000
000
000
000
000
000
000
000
000

5

000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000

5

000

5
5
5
5
5
5
5
5
5
5
5
5

5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5

000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000

34. If you reported sales of service code 10, Other financial services, specify the major type of financial service:
034 0

Page 14	

FORM BE-180 (REV. 01/2025)

SCHEDULE B – U.S. Reporter’s Purchases of Financial Services from Foreign Persons
REPORTING INSTRUCTIONS – Schedule B
Complete a separate Schedule B for each service type with purchases greater than $500.00, as indicated in Table 1 on page 4. If you are
reporting purchases of more than one service type, or need to report additional country detail, please use the overflow sheets provided
(pages 28-30 of the survey) or download additional overflow sheets at www.bea.gov/be180. (eFile users – select “Add overflow” from the Report
Homepage.)
Purchases accrued during the reporting period should be reported by service type and according to the U.S. Reporter’s affiliation with the seller. ONLY
report transactions between the U.S. Reporter’s domestic operations and foreign persons. DO NOT report transactions between the U.S. Reporter’s
foreign affiliates and foreign persons, or between the U.S. Reporter’s domestic operations and other U.S. persons, or transactions between other U.S.
persons and the U.S. Reporter’s foreign affiliates.
Table 1   on page 4 identifies the types of services that are reportable on Schedule B and corresponding numerical service codes (from column 1
of the Table ). Columns 3, 4, and 5 on Schedule B correspond to the U.S. Reporter’s affiliation with the foreign seller.
How to Report:
1. 	For each service type that is reportable, enter or select the associated service code from the dropdown box at the top of Schedule B .
2. 	Enter or select the country(ies) with which you had purchases of this service type in the left most column of Schedule B (PURCHASES FROM –
Specify country).
3. 	For each country, enter the total value of the purchase(s) you had of this service type during the reporting period in the column that corresponds to
the seller’s relationship with the U.S. Reporter (see page 12 for more information about reporting relationships):
Report in
column

Relationship with consolidated domestic U.S. Reporter

3

Transactions between the U.S. Reporter and a foreign affiliate

4

Transactions between the U.S. Reporter and its foreign parent group

5

Transactions between the U.S. Reporter and unaffiliated foreign persons

Example:
Your company purchased $4,500,000.00 in securities lending services from its foreign parent group in Canada.
First, enter or select service code 8, securities lending services, from the dropdown box at the top of Schedule B ;

Second, enter or select “Canada” from the dropdown box in the first column of row 1. Lastly, enter “4,500” in the column marked Foreign parent group.
IMPORTANT – Report amounts in thousands of U.S. dollars (omitting 000). Round amounts of less than $500.00 to 0. Do not enter amounts in the
shaded portions of each item.

If you are reporting purchases of more than one transaction type, or need to report additional country detail, please use the overflow sheets
provided (pages 28-30 of the survey) or download additional overflow sheets at www.bea.gov/be180. (eFile users – select “Add overflow” from
the Report Homepage.)

FORM BE-180 (REV. 01/2025)	

Page 15

SCHEDULE B – U.S. Reporter’s Purchases of Financial Services from Foreign Persons
Complete a separate Schedule B for each service type with purchases greater than $500.00 during the reporting period. If you are reporting
purchases of more than one service type, or need to report additional country detail, please use the overflow sheets provided (pages 28-30 of
the survey) or download additional overflow sheets at www.bea.gov/be180. (eFile users – select “Add overflow” from the Report Homepage.)
REPORT IN THOUSANDS OF U.S. DOLLARS (e.g., report $1,334,891.00 as 1,335).
__________
Foreign affiliates
(3)
(1)
B1000

1.

Service Code

BEA USE
ONLY

PURCHASES FROM
(Specify country)

002

2.

003

3.

004

4.

005

5.

006

6.

007

7.

008

8.

009

9.

010

10.

011

11.

012

12.

013

13.

014

14.

015

15.

016

16.

017

17.

018

18.

019

19.

020

20.

021

21.

022

22.

023

23.

024

24.

025

25.

026

26.

027

27.

028

28.

029

29.

030

30.

031

31.

032

32.

033

33. Total all countries this page

001

Foreign parent group
(4)

Unaffiliated foreign persons
(5)

See page 12 for more information about reporting relationships

(2)

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

4

000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000

4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4

5

000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000

5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5

000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000

34. If you reported purchases of service code 10, Other financial services, specify the major type of financial service:
034 0

Page 16	

FORM BE-180 (REV. 01/2025)

SCHEDULE C – Percentage of Sales of Services to Foreign Persons Provided Remotely Via Information and Communications
Technology Networks
REPORTING INSTRUCTIONS
On Schedule C (next page), please provide an estimate of the percentage of services that you reported on Schedule A that were provided remotely
by the U.S. Reporter’s domestic offices to the purchaser located abroad using information and communications technology (ICT) networks. See the
list below for the types of provision methods to include and exclude. The percentage reported should reflect all interactions involved with delivering
the service to the customer, not just the delivery of the final product. The payment for, or ordering of, the services need not have been conducted
remotely via ICT networks for the services to have been provided remotely via ICT networks. Exclude the portion of the sales for services performed
in the country of the purchaser or services performed for a foreign customer temporarily located in the United States. The information provided in this
section may be estimated based on recall or a general understanding of the U.S. Reporter’s business operations. A video tutorial on reporting services
provided remotely can be found at www.bea.gov/be180.

What to Report
Include services provided via…

Exclude services provided via…

The internet, including via a website, a digital platform, an
application, or other method designed for the purpose of
providing the service

In-person meetings, either domestic or abroad

The internet via mobile or other connected device

Postal service or private delivery

An extranet (a controlled private electronic network)

Telephone

Fax

Video Conference

➙ Continue to the next page
●

FORM BE-180 (REV. 01/2025)	

Page 17

SCHEDULE C – Percentage of Sales of Services to Foreign Persons Provided Remotely Via Information and Communications
Technology Networks
See reporting instructions on the previous page.

Transaction
code

Transaction type

If “Yes,” what
percentage
was provided
remotely by the
foreign seller via
ICT networks?

Did you report
this service on
Schedule A ?
(Check yes or no)

1

Brokerage services related to equity transactions

 Yes

 No

2.1

Brokerage services related to debt transactions

 Yes

 No

2.2

Other brokerage services (excluding debt/equity
transactions)

 Yes

 No

3.1

Underwriting and private placement services related to
equity transactions

 Yes

 No

3.2

Underwriting and private placement services related to
debt transactions

 Yes

 No

4

Financial management services

 Yes

 No

31001

310021

310022

310031

310032

31004
31005

__ __ __

%

__ __ __

%

__ __ __

%

__ __ __

%

__ __ __

%

__ __ __

%

 No
31006
 No
310071
 No

__ __ __

%

__ __ __

%

Financial advisory services

 Yes
 Yes
 Yes

__ __ __

%

7.2

Financial custody services

 Yes

 No

310072

__ __ __

8

Securities lending services

 Yes

 No

31008

__ __ __

%

9

Electronic funds transfer services

 Yes

 No

__ __ __

%

__ __ __

%

5

Credit-related services, except credit card services

6

Credit card services

7.1

10
21

 Yes

Other financial services

 No

31009

31010

For the percentages indicated above, was the information primarily provided based on accounting records, or recall/general 		
knowledge of the U.S. Reporter’s operations?
31012

1
2

	Accounting records
 Recall/general knowledge of operations

➙ Continue to the next page
●

Page 18	

FORM BE-180 (REV. 01/2025)

SCHEDULE D – Percentage of Purchases of Services from Foreign Persons Provided Remotely Via Information and
Communications Technology Networks
REPORTING INSTRUCTIONS
On Schedule D (next page), please provide an estimate of the percentage of services you reported on Schedule B that were provided remotely
by the seller’s foreign offices to your U.S. domestic operations using information and communications technology (ICT) networks. See the list below
for the types of provision methods to include and exclude. The percentage reported should reflect all interactions with the seller, not just the delivery of
the final product. The payment for or ordering of the services need not have been conducted remotely via ICT networks for the services to have been
provided remotely via ICT networks. Exclude the portion paid for services performed while the purchaser is temporarily in the country of the foreign
seller, or services performed by a foreign seller temporarily located in the United States.The information provided in this section may be estimated
based on recall or a general understanding of the U.S. Reporter’s business operations. A video tutorial on reporting services provided remotely can be
found at www.bea.gov/be180.

What to Report
Include services provided via…

Exclude services provided via…

The internet, including via a website, a digital platform, an
application, or other method designed for the purpose of
providing the service

In-person meetings, either domestic or abroad

The internet via mobile or other connected device

Postal service or private delivery

An extranet (a controlled private electronic network)

Telephone

Fax

Video Conference

➙ Continue to the next page
●
FORM BE-180 (REV. 01/2025)	

Page 19

SCHEDULE D – Percentage of Purchases of Services from Foreign Persons Provided Remotely Via Information and
Communications Technology Networks
See reporting instructions on the previous page.

Transaction
code

Transaction type

If “Yes,” what
percentage
was provided
remotely by the
foreign seller via
ICT networks?

Did you report
this service on
Schedule B ?
(Check yes or no)

1

Brokerage services related to equity transactions

 Yes

 No

41001

__ __ __

%

2.1

Brokerage services related to debt transactions

 Yes

 No

410021

__ __ __

%

2.2

Other brokerage services (excluding debt/equity
transactions

 Yes

 No

410022

__ __ __

%

3.1

Underwriting and private placement services related to
equity transactions

 Yes

 No

__ __ __

%

3.2

Underwriting and private placement services related to debt
transactions

 Yes

 No

__ __ __

%

4

Financial management services

 Yes

 No

41004

__ __ __

%

5

Credit-related services, except credit card services

41005

%

Credit card services

__ __ __

%

7.1

Financial advisory services

 No
41006
 No
410071
 No

__ __ __

6

 Yes
 Yes
 Yes

__ __ __

%

410031

410032

410072

7.2

Financial custody services

 Yes

 No

8

Securities lending services

 Yes

 No 41008

__ __ __

%

9

Electronic funds transfer services

 Yes

 No

41009

__ __ __

%

10

Other financial services

 Yes

 No

__ __ __

%

22

For the percentages indicated above, was the information primarily provided based on accounting records, or recall/general 		
knowledge of the U.S. Reporter’s operations?
41012

1
2

Page 20	

41010

__ __ __

	Accounting records
 Recall/general knowledge of operations

FORM BE-180 (REV. 01/2025)

GENERAL INSTRUCTIONS
The respondent burden for this collection of information would vary from
one respondent to another, but is estimated to average 11 hours for
respondents that file mandatory or voluntary data by country and affiliation
for relevant transaction types on the mandatory schedules; 2 hours for
respondents that file mandatory data by transaction type but not by country
or affiliation; and 1 hour for those filing exemption claims. This burden
includes time for reviewing instructions, searching existing data sources,
gathering and maintaining the data needed, and completing and reviewing
the collection of information. Send comments regarding this burden
estimate to Director, Bureau of Economic Analysis (BE-1), U.S. Department
of Commerce, 4600 Silver Hill Rd., Washington, DC 20233; and to the
Office of Management and Budget, Paperwork Reduction Project 06080062, Washington, DC 20503.
Purpose – Reports on this form are required to obtain reliable and up-todate information on financial services transactions between U.S. financial
services providers and foreign persons. The data will be used in compiling
the U.S. international transactions accounts and national income and
product accounts. The information will also be used to formulate U.S. policy,
on such international transactions, and to analyze the impact of that policy
and the policies of foreign countries.
Authority – This survey is being conducted under the authority of the
International Investment and Trade in Services Survey Act (P.L. 94-472,
90 Stat. 2059, 22 U.S.C. 3101-3108, as amended—hereinafter “the Act”),
and by Section 5408 of the Omnibus Trade and Competitiveness Act of
1988 (P.L. 100-418, 15 U.S.C. 4908(b)). Regulations for the survey may be
found in 15 CFR Part 801. The survey has been approved by the Office of
Management and Budget (OMB) under the Paperwork Reduction Act (44
U.S.C. 3501, et seq).
Penalties – Whoever fails to report shall be subject to a civil penalty and
to injunctive relief commanding such person to comply, or both. Whoever
willfully fails to report shall be fined and, if an individual, may be imprisoned
for not more than one year, or both. Any officer, director, employee, or
agent of any corporation who knowingly participates in such violations,
upon conviction, may be punished by a like fine, imprisonment or both (22
U.S.C. 3105). The civil penalties are subject to inflationary adjustments.
Those adjustments are found in 15 C.F.R. 6.3. Notwithstanding the above,
a person is not subject to any penalty for failure to report if a valid OMB
control number is not displayed on the form. The control number for Form
BE-180 (0608-0062) is displayed at the top of the first page of this form.
Confidentiality – The Act provides that your report to this Bureau is
confidential and may be used only for analytical and statistical purposes.
Without your prior written permission, the information filed in your report
cannot be presented in a manner that allows it to be individually identified.
Your report cannot be used for purposes of taxation, investigation, or
regulation. Copies retained in your files are immune from legal process. Per
the Cybersecurity Enhancement Act of 2015, your data are protected from
Cybersecurity risks through security monitoring of the BEA information
systems.
I. WHO IS TO REPORT AND GENERAL COVERAGE
A. 	Who must report – The publication in the Federal Register of the final
rule implementing this survey is considered legal notice to U.S. persons
of their obligation to report. Therefore, a response is required from
persons subject to the reporting requirements of the survey, whether or
not they are contacted by BEA.
1. 	 Mandatory and voluntary reporting
a. 	Mandatory reporting – A BE-180 report is required of each
U.S. person that is a financial services provider or intermediary,
or whose consolidated U.S. enterprise includes a separately
organized subsidiary, or part, that is a financial services provider or
intermediary, and had financial services transactions with foreign
persons in the categories covered by the survey during its 2024
fiscal year. Any person that:
(1) 	had combined sales to foreign persons that exceeded $3 million
in the financial services categories covered by the survey during
its 2024 fiscal year, on an accrual basis, or had combined
purchases from foreign persons in the covered financial services
that exceeded $3 million during its 2024 fiscal year, on an
accrual basis, is required to provide data on total sales and/or
purchases of each of the covered types of financial services and
must disaggregate the totals by country and by relationship to
the foreign transactor (foreign affiliate, foreign parent group, or
unaffiliated).

FORM BE-180 (REV. 01/2025)	

(2) 	had combined sales to foreign persons that had $3 million or
less in the financial services categories covered by the survey
during its 2024 fiscal year, on an accrual basis, or had combined
purchases from foreign persons in the covered financial services
of $3 million or less during its 2024 fiscal year, on an accrual
basis,is required to provide the total sales and/or purchases for
each type of transaction in which they engaged on page 4. The $3
million thresholds for mandatory reporting are based on covered
transactions for financial services with foreign persons by all parts
of the consolidated domestic U.S. Reporter that are financial
services providers or intermediaries.
Because the $3 million thresholds apply separately to sales and
purchases, the mandatory reporting requirements may apply only to
sales, only to purchases, or to both. The determination of whether a
U.S. Reporter is subject to this reporting requirement may be based
on the judgment of knowledgeable persons in a company who can
identify reportable transactions, on a recall basis, with a reasonable
degree of certainty, without conducting a detailed records search.
Provide responses to all questions as they pertain to the consolidated
domestic U.S. Reporter’s fiscal year ending in 2024. In the
“Determination of Reporting Status” section, in Table 1 on page 4,
enter the total sales and purchases between the U.S. Reporter and
foreign persons during the reporting period for each transaction type
listed. Report amounts in thousands of U.S. dollars (omitting 000). For
example, if the amount is $1,334,515.00, report it as $1,335.
If the U.S. Reporter’s combined total sales to, or purchases from,
foreign persons exceeded $3 million the U.S. Reporter MUST
provide additional country/affiliation detail on Schedule A and/or
Schedule B as indicated in questions 6 and 7 on page 5, and must
also complete Schedule C and/or Schedule D .
Enter the total transaction amounts, applicable to a particular
schedule, in the appropriate column(s) on line 33 of the Schedule
A and Schedule B . Distribute amounts to the foreign country(ies)
involved in the transaction(s) on lines above the total line on each
applicable schedule. Use the available overflow sheets to report
additional countries and transaction types as necessary. (eFile users –
select “Add overflow” from the Report Homepage.)
b.	 Voluntary reporting
If, during the fiscal year, total sales and and purchases were $3
million or less, on an accrual basis, the U.S. person may, in addition to
providing the required total for each type of transaction, report sales
and/or purchases at a country and affiliation level of detail on the
applicable mandatory Schedule(s). The estimates can be judgmental,
that is, based on recall, without conducting a detailed records search.
c.	 Exemption – Any U.S. person that receives a BE-180 survey notification
letter from BEA, but is not subject to the reporting requirements, must
file an exemption claim by completing the “Determination of Reporting
Status” section (pages 1 through 5 of the survey) and returning it to BEA
by the due date of the survey. This requirement is necessary to ensure
compliance with reporting requirements and efficient administration of the
Act by eliminating unnecessary follow-up contact.
2. 	Consolidation – A U.S. enterprise should file a single Form BE-180
covering combined (total) financial services transactions of all its
domestic subsidiaries, and parts, that are financial services providers.
If the U.S. Reporter is a corporation, please complete Form BE-180 to
cover reportable transactions for the fully consolidated U.S. domestic
enterprise consisting of (i) the U.S. corporation whose voting securities
are not owned more than 50 percent by another U.S. corporation, and,
proceeding down each ownership chain from that U.S. corporation, (ii)any
U.S. corporation whose voting securities are more than 50 percent owned
by the U.S. corporation above it. The fully consolidated U.S. domestic
enterprise excludes foreign branches and other foreign affiliates owned
by your company.
3. 	Consolidating unincorporated enterprises
Consolidate into your BE-180 report the transactions of unincorporated
enterprises in which your company has voting control. Please see
the following items on determining the voting interest in typical
unincorporated enterprises.
Partnerships – Most partnerships are either general partnerships or
limited partnerships. Consolidation of partnerships and inclusion of their
financial services transactions (sales and purchases) on the BE-180
survey is based on voting control.
Page 21

GENERAL INSTRUCTIONS – Continued
(1)	General partnerships
Determination of voting interest – The determination of the
percentage of voting interest of a general partner is based on who
controls the partnership. The percentage of voting interest is not
based on the percentage of ownership in the partnership’s equity.
The general partners are presumed to control a general partnership.
Unless a clause to the contrary is contained in the partnership
agreement, a general partnership is presumed to be controlled
equally by each of the general partners.
Managing partners – If one general partner is designated as the
managing partner, responsible for the day-to-day operations of
the partnership, this does not necessarily transfer control of the
partnership to the managing partner. If the managing partner must
obtain approval for annual operating budgets and for decisions
relating to significant management issues from the other general
partners, then the managing partner does not have a 100 percent
voting interest in the partnership.
(2)	Limited partnerships
Determination of voting interest – The determination of the
percentage of voting interest in a limited partnership is based on
who controls the partnership. The percentage of voting interest is not
based on the percentage of ownership in the partnership’s equity.
In most cases, the general partner is presumed to control a limited
partnership, and therefore, have a 100 percent voting interest in
the limited partnership. If there is more than one general partner,
the partnership is presumed to be controlled equally by each of the
general partners, unless a clause to the contrary is contained in the
partnership agreement. Therefore, unless a clause to the contrary
is contained in the partnership agreement, limited partners are
presumed to have zero voting interest in a limited partnership.
Managing partners – See discussion under “General Partnerships”
above.
(3)	Limited Liability Companies (LLCs)
Determination of voting interest – The determination of the
percentage of voting interest in an LLC is based on who controls
the LLC. The percentage of voting interest is not based on the
percentage of ownership in the LLC’s equity. LLCs are presumed
to be controlled equally by each of its members (owners), unless a
clause to the contrary is contained in the articles of organization or in
the operating agreement.
Managing member – If one member is designated as the managing
member responsible for the day-to-day operations of the LLC, this
does not necessarily transfer control of the LLC to the managing
member. If the managing member must obtain approval for annual
operating budgets and for decisions relating to other significant
management issues from the other members, then the managing
member does not have a 100 percent voting interest in the LLC.
B. General coverage
1. Definition of financial services provider – The definition of financial
services provider used for this survey is identical to the definition of the
term as used in the North American Industry Classification System,
United States, 2022, Sector 52—Finance and Insurance, and holding
companies that own or influence, and are principally engaged in making
management decisions for these firms (part of Sector 55—Management
of Companies and Enterprises).
For example, companies and/or subsidiaries and other separable
parts of companies in the following industries are regarded as financial
services providers: depository credit intermediation and related
activities (including commercial banking, savings institutions, credit
unions, and other depository credit intermediation); non-depository
credit intermediation (including credit card issuing, sales financing,
and other non-depository credit intermediation); activities related
to credit intermediation (including mortgage and nonmortgage loan
brokers, financial transactions processing, reserve, and clearinghouse
activities, and other activities related to credit intermediation);
securities and commodity contracts intermediation and brokerage
(including investment banking and securities dealing, securities
brokerage, commodity contracts and dealing, and commodity contracts
brokerage); securities and commodity exchanges; other financial
investment activities (including miscellaneous intermediation, portfolio
management, investment advice, and all other financial investment
activities); insurance carriers; insurance agencies, brokerages, and
	
Page
22	

other insurance related activities; insurance and employee benefit funds
(including pension funds, health and welfare funds, and other insurance
funds); other investment pools and funds (including
open-end investment funds, trusts, estates, and agency accounts, real
estate investment trusts, and other financial vehicles); and holding
companies that own, or influence the management decisions of, firms
principally engaged in the aforementioned activities.
Filing options for holding companies that own only nonfinancial
subsidiaries:
•	 You may report your purchases of financial services from foreign
persons on Form BE-180; or
•	 You may report such purchases on Form BE-125, Quarterly Survey
of Transactions in Selected Services and Intellectual Property with
Foreign Persons.
In either case, sales of financial services to foreign persons must be
reported on Form BE-180 if they exceeded $3 million in fiscal year 2024.
2. Clarification of general coverage
a. 	Report sales or purchases for the reporting period in which they
occurred or were charged (that is, in the period when the provider
of the service recognizes or performs the services), whether
expensed by the purchaser of the service in that accounting period,
amortized over several accounting periods, or included in expenses
in a subsequent accounting period. For example, report payments
of credit-related fees in the period when credit-related services are
charged, whether or not the charge for the service is included in the
purchaser’s expenses for that particular accounting period. See Part
VI. of these Instructions for an explanation of what measures should
be applied in determining whether you are subject to the BE-180
survey’s mandatory reporting requirements for a given type of service.
b. When a sale or purchase consists of services that are commingled
or bundled (that is, the different types of services are not separately
billed), you should unbundle the transaction whenever possible. When
the transaction cannot be unbundled, it should be classified based
on whichever service accounts for the largest share of its value.
However, do not unbundle the transaction if the services are billed
together because they are integral parts of the same transaction
(for example, if the fee for financial management services includes
payment for custody and other services that are regarded as integral
parts of financial management services).
II. WHAT TO REPORT
A. 	Report transactions with affiliated foreign persons as well as with
unaffiliated foreign persons (see DEFINITIONS Part IV.J-M).
B. 	Report covered transactions between the U.S. Reporter and a foreign
person regardless of whether the service was performed in the United
States or abroad. Note that the reporting requirements are determined
by whom the transactions are with and not by where the services are
performed or the location of the buyer and seller at the time of the
transaction. Thus, reportable transactions may include those conducted
over the Internet or other networks (for example, brokerage or financial
advisory services sold to foreign persons over the Internet).
C. 	Report transactions with U.S. affiliates of foreign firms for the account
of their foreign parent firm. (Report them as transactions with
unaffiliated foreign persons.)
D. 	Report transactions with foreign persons made by your foreign affiliate
for your account. (Report them as transactions with unaffiliated foreign
persons.)
III. WHAT NOT TO REPORT
A. 	Do not report transactions with U.S. affiliates of foreign firms for their
own account. Transactions with these U.S. affiliates are considered
domestic-to-domestic for the purposes of this survey.
B. 	Do not report transactions with foreign persons made by your foreign
affiliates for their own account.
IV. DEFINITIONS
A.	United States when used in a geographic sense, means the 50 states,
the District of Columbia, the Commonwealth of Puerto Rico, and all
territories and possessions of the United States. NOTE: The U.S. Virgin
FORM BE-180 (REV. 01/2025)

GENERAL INSTRUCTIONS – Continued
Islands and Guam are territories of the United States.
B. 	Foreign, when used in a geographic sense, means that which is situated
outside the United States or which belongs to or is characteristic of a
country other than the United States.
C.	 U.S. Reporter is the U.S. person filing a report in this survey.
D. 	Consolidated domestic U.S. Reporter means the fully consolidated
U.S. domestic enterprise consisting of (i) the U.S. corporation whose
voting securities are not owned more than 50 percent by another U.S.
corporation, and, proceeding down each ownership chain from that
U.S. corporation, and, (ii) any U.S. corporation whose voting securities
are more than 50 percent owned by the U.S. corporation above it. The
fully consolidated U.S. domestic enterprise excludes foreign branches
and other foreign affiliates. Conditions may exist that would lead a U.S.
corporation to exclude certain majority-owned (more than 50 percent
owned) domestic subsidiaries from financial statements used in reports
to shareholders. If such a subsidiary has covered transactions, it must
file a report under its own name, and the subsidiary will be considered
the U.S. Reporter for purposes of this survey.
E.	 Person means any individual, branch, partnership, associated group,
association, estate, trust, corporation, or other organization (whether or
not organized under the laws of any State), and any government (including
a foreign government, the United States Government, a State or local
government, and any agency, corporation, financial institution, or other
entity or instrumentality thereof, including a government sponsored agency).
1. 	U.S. person means any person resident in the United States or
subject to the jurisdiction of the United States.
2. 	Foreign person means any person resident outside the United States
or subject to the jurisdiction of a country other than the United States.
F.	 Business enterprise means any organization, association, branch, or
venture which exists for profit making purposes or to otherwise secure
economic advantage, and any ownership of any real estate. (A business
enterprise is a “person” within the definition in paragraph E above.)
G. 	Financial services provider – See I.B.1 of these General Instructions.
H.	 Direct investment means the ownership or control, directly or
indirectly, by one person of 10 percent or more of the voting securities
of an incorporated business enterprise or an equivalent interest in an
unincorporated business enterprise.
I.	Parent means a person of one country who, directly or indirectly, owns
or controls 10 percent or more of the voting stock of an incorporated
business enterprise, or an equivalent ownership interest in an
unincorporated business enterprise which is located outside that country.
1. U.S. parent means the U.S. person that has direct investment in a
foreign business enterprise including a branch.
2. Foreign parent means the foreign person, or the first person outside
the United States in a foreign chain of ownership, which has direct
investment in a U.S. business enterprise, including a branch.
J.	 Foreign Parent Group means:
(i) 	 the foreign parent, which is the first entity outside the United States
in a foreign chain of ownership, which owns at least 10 percent
(based on voting interest), directly or indirectly, of the consolidated
domestic U.S. business enterprise.
(ii) 	any foreign entity, proceeding up the foreign parent’s ownership
chain, which owns more than 50 percent of the entity below it up to
and including that entity which is not owned more than 50 percent by
another foreign entity, and
(iii) 	any foreign entity, proceeding down the ownership chain(s) of each
of these members, which is owned more than 50 percent by the
entity above it.
K.	Affiliate means a business enterprise located in one country that is directly
or indirectly owned or controlled by a person of another country to the extent
of 10 percent or more of its voting stock for an incorporated business or an
equivalent interest for an unincorporated business, including a branch.
1.	 Foreign affiliate means an affiliate located outside the United States
in which a U.S. person has direct investment.
2.	 U.S. affiliate means an affiliate located in the United States in which a
foreign person has direct investment.
L.	 Foreign affiliate of a foreign parent means, with reference to a given
U.S. affiliate, any member of the affiliated foreign group owning the U.S.
affiliate that is not a foreign parent of the U.S. affiliate.
FORM BE-180 (REV. 01/2025)	

M.	Unaffiliated foreign person means, with respect to a given U.S.
person, any foreign person that is not a foreign affiliate or member of
the U.S. Reporter's foreign Parent Group as defined in paragraphs J
and K above.
V. OTHER INSTRUCTIONS
A.	 Differentiating between U.S. and foreign persons
In Part IV.E.2 of these Instructions, a “foreign person” is defined as any
person resident outside the United States or subject to the jurisdiction of
a country other than the United States. Persons that reside or expect to
reside for 1 year or more in a foreign country are considered to be foreign
persons. International organizations are considered to be foreign persons
whether they are based in the United States (such as the International
Monetary Fund, Inter-American Development Bank, United Nations, World
Bank, and the Organization of American States) or abroad.
The following sources may be helpful in identifying and classifying by
country financial services transactions with foreign persons:
1.	 Billing records or mailing address information to identify the country
of the foreign person(s) – report sales to and purchases from a given
foreign country, or international organization, if the billing records or
mailing address identify that foreign country as the location of the
foreign person that was a party to the transaction.
2.	 IRS Form W-8, Certificate of Foreign Status filed by foreign persons,
and IRS Form W-9, Request for Taxpayer Identification Number and
Certification (filed by U.S. persons).
3.	 Any other available information on residency of persons with whom
you have sold or purchased financial services.
NOTE: Steps 2 and 3 above may be necessary when foreign
customers provide billing addresses of U.S. agents or other locations of
convenience in the United States.
B.	 Who must report a transaction when an intermediary is involved
Financial services transactions between a U.S. person and a foreign
person are frequently arranged by, billed through, or otherwise facilitated by
a financial services provider or intermediary. The intermediary may be U.S.
or foreign and may be affiliated or unaffiliated with the U.S. or the foreign
person. The U.S. financial services provider or intermediary that directly
deals with a foreign person and not the U.S. customer of the intermediary is
typically responsible for reporting the transaction on this survey.
Use the following guidelines to determine who should report data on
payments of brokerage fees and commissions (service codes 1, 2.1, and
2.2) in cases where more than one U.S. financial services provider is
involved in the transaction.
•	 If a U.S. broker is involved in the transaction, the broker should report
the data on payments of brokerage commissions.
•	 If a U.S. broker is not involved, a U.S. financial manager, such as a
fund or investment manager, involved in the transaction should report
the data.
•	 If neither a U.S. broker nor a U.S. manager is involved in the
transaction, a U.S. custodian should report; this would be the case,
for example, if the principal uses a foreign (rather than a U.S.)
financial manager but a U.S. custodian. (In this case, the custodian
may wish to contact the principal to determine which of its financial
managers are foreign persons.)
•	 If the custodian does not have or cannot obtain the information
needed to report, then the U.S. principal or its paying agent should
report the data; the U.S. principal must make the determination of
whether it or its paying agent is responsible for reporting.
Respondents may deviate from these guidelines by agreement among
themselves. Please confer with one another to assure that the data
reported on payments of brokerage commissions are neither omitted
from all BE-180 reports, resulting in undercounting of data, nor reported
on more than one BE-180 report, resulting in duplication.
C. 	Distinguishing between unaffiliated and affiliated transactions
This survey covers U.S. persons’ direct transactions, both sales and
payments (purchases), with affiliated and unaffiliated foreign persons.
Examples of affiliated transactions are:
1. 	A transaction between a U.S. person (U.S. parent) and its foreign affiliate.
2. 	A transaction between a U.S. person (U.S. affiliate) and its foreign
parent(s) or member(s) of the foreign parent group(s).
Page 23

GENERAL INSTRUCTIONS – Continued
Examples of unaffiliated transactions are:
1. 	A transaction between a U.S. person and an unaffiliated foreign person.
2. 	A transaction between one U.S. person and another U.S. person’s
foreign affiliate. Such a transaction is reportable by the first U.S. person.
Examples of transactions that are not reportable are:
1. 	A transaction between a U.S. affiliate of a foreign parent and another
U.S. person.
2. 	A transaction between a U.S. parent’s foreign affiliate and another
foreign person.
D. 	Understanding the U.S. Reporter’s relationship with foreign persons
The relationship between the U.S. Reporter and the foreign persons fall
into one of three categories:
Foreign affiliates – A foreign affiliate is defined as an entity domiciled in
a foreign country that is owned at least 10 percent, directly or indirectly,
by the U.S. Reporter.
Foreign Parents (FP) and Foreign Affiliates of Foreign Parents (FAFP)
(aka the “foreign parent group”) means all of the following:
(i)	 the foreign parent, which is the first entity outside the United States in
a foreign chain of ownership, that owns at least 10 percent (based on
voting interest), directly or indirectly, of the consolidated domestic U.S.
business enterprise.
(ii)	 any foreign entity proceeding up the foreign parent’s ownership
chain, that owns more than 50 percent of the entity below it up to and
including the entity that is not owned more than 50 percent by another
foreign entity,
(iii)	any foreign entity that, proceeding down the ownership chain(s) of each
of these members, is owned more than 50 percent by the entity above it.
Unaffiliated foreign persons – An unaffiliated foreign person is an entity
domiciled abroad that is owned less than 10 percent, directly or indirectly,
by the U.S. Reporter or the U.S. Reporter’s foreign parent.
The diagram below illustrates each of these relationships with regards to
the U.S. Reporter.

COMPANY A (Germany)

COMPANY B
(Germany)
49% owned by
Company A
Unaffiliated Foreign
Person
NOTE: “Company B” is not
a foreign affiliate of the foreign parent nor part of the
foreign parent group since it
is not owned, nor does it own
another foreign entity, more
than 50 percent within the foreign ownership chain. Also,
“Company B” is not a foreign
affiliate of the Consolidated
domestic U.S. Reporter since
it is not owned at least 10
percent by the Consolidated
domestic U.S. Reporter.

COMPANY E
(Mexico)
20% owned by
Consolidated
domestic U.S.
Reporter
Foreign Affiliate

Foreign Parent of the
Consolidated Domestic U.S.
Reporter
Member of Foreign Parent
Group
Owns 100% of Company C,
and the Consolidated U.S.
Reporter

COMPANY C
(France)
Wholly owned by
Company A
Member of Foreign
Parent Group

Owns >10% of Companies D,
E and F

Company D’s transactions
with foreign persons are
consolidated into the U.S.
Reporter’s BE-180 filing

COMPANY F
(United Kingdom)
50% owned by
Consolidated
domestic U.S.
Reporter
Foreign Affiliate

COMPANY G
(Switzerland)

COMPANY H
(Ghana)

5% owned by Consolidated domestic
U.S. Reporter

No ownership
relationship with
any other company

Unaffiliated Foreign
Person

Unaffiliated Foreign
Person

Page 24	

If a U.S. person’s foreign activity or operation is incorporated abroad, it
is a foreign affiliate.
If a U.S. person’s foreign activity or operation is not incorporated
abroad, its status is based on the weight of the evidence when the
factors listed below are considered.
An unincorporated foreign activity or operation generally would be
considered a foreign affiliate if it: (i) is subject to foreign income taxes;
(ii) has a substantial physical presence abroad (e.g., plant and
equipment or employees); (iii) maintains separate financial records
that would permit the preparation of financial statements, including
an income statement and balance sheet (not just a record of
disbursements and receipts); (iv) takes title to the goods it sells and
receives revenues therefrom; or (v) receives funds for its own account
from customers for services it performs. Transactions with this type of
entity should be reported under “Foreign affiliates.”
An unincorporated foreign activity or operation generally would not
be considered a foreign affiliate if it: (i) conducts business abroad only
for the U.S. person’s account and not for its own account (e.g., sales
promotion or public relations type of activities); (ii) has no separate
financial statements; (iii) receives funds to cover its expenses only
from the U.S. person; (iv) is not subject to foreign income taxes; and
(v) has limited physical assets, or employees, permanently located
abroad. Transactions with this type of entity should be reported under
“Unaffiliated foreign persons.”
F. 	 U.S. activities of a foreign person that do not constitute a U.S.
affiliate Criteria for determining which U.S. activities do or do not
constitute a U.S. affiliate of a foreign person are parallel to those in Part
V.E. above.
Report transactions with international organizations, such as the
International Monetary Fund, which, for the purposes of this survey,
are considered foreign persons even if they are headquartered in the
United States. Enter “International Organization” as the name of the
country of the foreign party of the transaction.
VI. SERVICES COVERED
Report sales on Schedule A and purchases on Schedule B .
Reporters of sales must also complete Schedule C , and reporters of
purchases must also complete Schedule D .

(The U.S. person filing this
BE-180)

COMPANY D (USA)

Although the definitions of direct investment and foreign affiliate in
Parts IV. and V. above, should be sufficient to determine whether a
given foreign activity is or is not a foreign affiliate, in a number of cases
the determination may be difficult. Several factors to be considered are
given below. If you still cannot determine if the activity or operation is
an affiliate, call (301) 278-9303 or send an e-mail to be-180help@bea.
gov for additional guidance.

G. 	International Organizations

CONSOLIDATED
DOMESTIC U.S. REPORTER

Subsidiary, owned 100%
by Consolidated
domestic U.S. Reporter

E. 	Foreign activities of a U.S. person that do not constitute a foreign
affiliate

1.	 Brokerage services related to equity transactions – Report on
Schedule A your receipts of commissions and fees (inclusive of
taxes and stamp duties) directly from foreign customers for executing
orders to purchase or sell equity securities. Report on Schedule
B your payments of commissions and fees directly to foreign
brokers for executing your or your customers’ equities orders. Include
brokerage transactions with foreign persons conducted over the
Internet and electronic communications networks (ECNs).
DO NOT report income where you were a dealer or other principal
who was at risk of incurring a loss on the financial instruments
rather than acting solely as the broker. For example, exclude income
from marking positions to market and inherent earnings from dealer
markups on buy and sell transactions (that is, bid/ask price spreads
in dealing in securities).
2.1. Brokerage services related to debt transactions – Report on
Schedule A your receipts of commissions and fees (inclusive of
taxes and stamp duties) directly from foreign customers for executing
orders to purchase or sell debt securities. Report on Schedule
B your payments of commissions and fees directly to foreign
brokers for executing your or your customers’ equities orders. Include
brokerage transactions with foreign persons conducted over the
Internet and ECNs.
FORM BE-180 (REV. 01/2025)

GENERAL INSTRUCTIONS – Continued
DO NOT report income where you were a dealer or other principal who
was at risk of incurring a loss on the financial instruments rather than
acting solely as the broker. For example, exclude income from marking
positions to market and inherent earnings from dealer markups on
buy and sell transactions (that is, bid/ask price spreads in dealing in
securities).

	

	

Bid/ask price spreads and trading profits on bond transactions are 	
not covered.
2.2 Other brokerage services(not related to debt/equity transactions
Report on Schedule A your receipts of commissions and fees
(inclusive of taxes and stamp duties) directly from foreign customers
for executing orders to purchase or sell options, futures, and other
financial instruments. Also include fees and commissions on brokering
foreign currencies. Report on Schedule B your payments of
commissions and fees directly to foreign brokers for executing your, or
your customers’, orders related to options, futures or other financial
instruments. Include brokerage transactions with foreign persons
conducted over the Internet and ECNs.
Include cryptocurrency exchange fees.
	

Report origination fees in connection with the over-the-counter
derivative financial instruments only if the fees are separately identified
in transaction documentation issued by the dealers in the instruments to
the customers, and are not considered undifferentiated components of
overall trading or marketmaking gains.

	

DO NOT report income where you were a dealer or other principal who
was at risk of incurring a loss on the financial instruments rather than
acting solely as the broker. For example, exclude income from marking
positions to market and inherent earnings from dealer markups on buy
and sell transactions (that is, bid/ask price spreads in dealing in bonds,
foreign currencies, and other financial instruments).

	

Report brokerage commissions for arranging a joint venture in service
code 10, Other financial services. Report multi-currency conversion fees
of credit card companies in service code 7, Credit card services.

	

DO NOT report fees for commodity or merchandise brokerage services,
real estate brokerages, and business services brokerage because they
are not considered to be financial services (as opposed to fees for
purchasing or selling commodity futures and other financial instruments
that are reportable on this survey).	

3.1 Underwriting and private placement services related to equity
transactions – Report in underwriting services, related to equity
transactions, your earnings from buying and reselling an entire or
substantial portion of newly issued securities. Report on Schedule A
as negative sales your losses from purchasing securities from a foreign
person (issuer or lead underwriter) and reselling them at a lower price. (3.1
and 3.2 are the only financial service category where negative amounts
may be reported.)
Also report fees you received from an issuer of securities for privately
placing its securities, or fees that you paid to a foreign person who
privately placed your securities, including fees on dealer-placed
commercial paper. Do not report earnings from buying and selling (i.e.,
trading) commercial paper or other securities for your own account,
because they are not considered to be financial services.
Where you are lead underwriter, report separately your receipts of
underwriting fees and your payments of selling concessions and
other expenses. Report on Schedule A your underwriting fees,
before deduction of selling concessions paid to other members of the
syndicate, according to the country of the person (issuer) from whom
you purchased the securities. Report on Schedule B your selling
concessions and reimbursements for expenses that you paid to foreign
members of the syndicate based upon the country(ies) of the foreign
syndicate members receiving these sums.
	

Where you are a syndicate member other than the lead underwriter,
report on Schedule A selling concessions that you received based
upon the country of the lead underwriter.
Report payments of underwriting fees (on Schedule B ) by an issuer
of securities as:
The estimated gross proceeds to the foreign lead underwriter from the
sale to the public of the securities, calculated as the number of units
of securities sold times the per unit public offer price minus the net
proceeds received by the issuer from the foreign lead underwriter.

FORM BE-180 (REV. 01/2025)	

Classify these payments according to the country of the foreign lead
underwriter.
Report fees or commissions received by, or paid to, intermediaries that
arrange the sale of securities (including mutual funds shares) they do
not themselves own as Other Brokerage Services (service code 2.2)
rather than as underwriting services.
3.2 Underwriting and private placement services related to debt
transactions –Report in underwriting services, related to debt
transactions, your earnings from buying and reselling an entire or
substantial portion of newly issued securities. Report on Schedule
A as negative sales your losses from purchasing securities from a
foreign person (issuer or lead underwriter) and reselling them at a
lower price. (Underwriting services, transaction codes 3.1 and 3.2, are
the only financial services categories where negative amounts may be
reported.) See the instructions for service code 3.1, Underwriting and
private placement services related to equity transactions for additional
instructions on calculating and reporting underwriting transactions.
4.	 Financial management services – Report sales (purchases) related
to transactions in which the provider of the service has the authority
to direct the use or investment of funds or other assets. Report fee
income from (to) foreign persons for managing or administering
financial portfolios, such as cash, securities, futures, and other
financial instruments or assets, if you (they) have this authority. Report
these fees whether the assets are held by the manager or held by
a custodian. Report fees from actively managed accounts (where
research and market timing skills are also provided) and fees from
passively managed, or indexed, accounts.
U.S. persons (including trustees and fiduciaries with management
authority) should report on Schedule A their fees from managing
foreign commodity pools, mutual funds, hedge funds, trusts (including
trusts containing mortgages), etc. (which are considered foreign
persons). Do not report fees from managing U.S. mutual funds, hedge
funds, trusts (including trusts containing mortgages), etc., (which are
considered U.S. persons) unless the management fee is charged
directly to a foreign investor, owner, beneficiary, maker, etc. of the U.S.
mutual fund, hedge fund, or trust rather than charged to the U.S. mutual
fund itself.
Report fees under service code 7.1, Financial advisory services, if a
U.S. or foreign person has input into the decision making process but
does not have the authority to direct the use or investment of funds or
other assets.
Report under service code 7.2, Financial custody services, sales to and
purchases from foreign persons (including foreign-based custodians
or subcustodians) related to managing the custody or safekeeping of
securities.
Foreign participation in U.S. futures markets frequently occurs indirectly
when foreign persons invest directly in a foreign commodity pool that,
in turn, invests directly in the U.S. futures market. Foreign commodity
pools may be organized by U.S. commodity pool operators (CPOs),
such as U.S. brokerage institutions. U.S. CPOs report on Schedule
A fees from managing foreign commodity pools, including additional
management fees received based on positive returns. Exclude gains
and losses to principal amounts you have invested in the pool; in this
case, your earnings are considered to be capital gains, which are not
covered on Schedule A and Schedule B. (Similar guidelines
pertain to the earnings of U.S. persons who manage foreign hedge
funds; that is, report management fees, including additional fees
based on positive returns, but do not report gains or losses to principal
amounts invested in the funds.)
DO NOT report sales (purchases) of your foreign affiliates to (from)
foreign persons. For example, where your foreign affiliate manages
foreign assets, do not report the management fee paid by foreign
clients to your foreign affiliate because the fee was not received by the
U.S. Reporter from a foreign person. (See Part V. of the Instructions for
an explanation of foreign activities of a U.S. person that constitute a
foreign affiliate.) Similarly, do not report fees paid by you to, or received
by you from, a U.S. affiliate of a foreign person.
DO NOT report funding for foreign sales promotion and representative
offices in this survey. Report such funding on Form BE-120 and BE-125.
(See BEA’s web site www.bea.gov/ssb for information regarding these
forms.)

Page 25

GENERAL INSTRUCTIONS – Continued
5.	 Credit-related services, except credit card services – Report fees
received from or paid to foreign persons, including fees paid directly and
fees that are withheld or deducted from the proceeds for:

reimbursements for telecommunication services, etc.) received
from or paid to foreign acquirers and issuers
•	 Payments to foreign issuers, acquirers, or merchants under
guarantees to protect them from losses from a default in the
processing network

•	 Credit-related or lending-related services, such as fees for
renegotiating debt terms and fees for establishing/originating,
maintaining, accepting or arranging standby letters of credit

•	 Fees you received from foreign issuers for credit authorization
services

•	 Commercial and similar letters of credit
•	 Letters of indemnity

•	 Fees you received from foreign issuers for listing lost or stolen
credit card numbers in warning bulletins or on electronic files

•	 Lines of credit

•	 Resignation assessments or membership fees received from
foreign issuers and acquirers

•	 Participations in acceptances
•	Mortgages
•	 Credit facilities

•	 Multi-currency conversion fees received from foreign issuers or
paid to foreign acquirers, processing centers, or issuers

•	 Reimbursement commissions for honoring import letters of credit
(ILCs), and of discrepancy fees for financial services provided when
goods imported under ILCs do not fully meet specifications

DO NOT report receipts or payments for credit card enhancements,
such as travel insurance, extended warranties, and discounts on
tour packages or other purchases.
7.1. Financial advisory services – Report sales (purchases) related
to transactions in which the provider of the service does not have
the authority to direct the use or investment of funds or other
assets. Report sales to and purchases from foreign persons for
client advisory to include mergers and acquisitions, raising capital,
financial planning, wealth management and asset management
from investment advisors and/or financial advisors. Include the
following:

•	 Factoring services
•	 Issuing financial guarantees and loan commitments (to make or
purchase loans)
•	 Arranging or entering into financial lease contracts
•	 Credit-related services received by or paid to note issuance facilities
(NIFs)
DO NOT report underwriting fees on notes issued by NIFs (these
should be reported under service codes 3.1 or 3.2. Also, do not report
interest received or paid, including discounts and premiums on notes
purchased or sold.

•	 Advice on investments
•	 Advice on insurance
•	 Estate planning

If you are a member of a loan syndicate, or of loan participations other
than syndicates, report fees received and paid for organizing, managing,
or participating in the operation. Do not report the sale of assets (that
is, of parts or shares in the syndicated loan), because these are not
financial services. Where you have collected a fee from a foreign person
on a loan syndication and passed through a portion of the fee to foreign
syndicate members, report the total fee you received on Schedule A
and report the portion of the fee you passed through on Schedule
B . Borrowers under loan syndicates or loan participations other than
syndicates should report payments of fees according to the country of
the lead manager of the syndicate.

•	 Financial budgeting
•	 Retirement planning
•	 Tax planning
•	 Creating tailored investment portfolios
•	 Investment newsletters or investment advice
•	 Commodity trading advisory services
•	 Proxy voting advisory services
• Other advisory services provided by U.S. or foreign persons
who have no discretion, or who have very limited discretion, to
act independently from instructions provided by the investor or
another principal

Report payments of credit-related fees in the accounting period in which
the fee is assessed by the provider of credit-related services, whether
included in expenses for that particular accounting period or amortized
over several accounting periods.
If compensating balances are reflected in the cost of credit-related
services, report the (net) amount received or paid for credit-related
services after credit for the value of the compensating balances. Do not
report the value of the compensating balance to the bank (in the form
of foregone interest expense). If the bank returns some portion of its
savings to its customers in the form of a credit against other financial
services provided, the amount to report for the other financial services 	
provided should be the reduced charge after consideration of this
credit.
6. Credit card services – Report all cross-border sales and purchases
related to credit card services, whether paid separately or in the form of
a discount from face or par value.

Include services with foreign persons conducted over the Internet.
DO NOT report fees received from or paid to a U.S. subsidiary (or
U.S. affiliate) of a foreign person, because, for the purposes of this
survey, these are considered U.S., not foreign, persons.
7.2 Financial custody services - Report sales (purchases) related to
transactions in which the provider of the service does not have the
authority to direct the use or investment of funds or other assets.
Report sales to and purchases from foreign persons (including
foreign-based custodians or sub-custodians) related to managing
the safekeeping, settlement, and reporting on customers marketable
assets and cash. Include the following: 	
	 • Custody and trust services (including payments and settlements
services such as mortgage servicing services)

U.S. credit card companies must report specified transactions in which
they themselves engage with foreign persons, as well as specified
transactions of their independent issuers or acquirers with foreign
persons. To avoid duplication, independent credit card issuers and
acquirers are exempt from reporting data under credit card services.
Listed below are the major types of credit card services sold to or
purchased from foreign persons. The credit card company must report
separately total receipts (sales) and payments (purchases) through the
system it controls or monitors. Total receipts (or total payments) of credit
card services are the sum of receipts (or payments) from all of these
services combined.
•	 Transaction and service fees received from or paid to foreign
acquirers and issuers
•	 Interchange received from foreign acquirers or paid to foreign
issuers
•	 Discount (including interchange and overhead assessments,
Page 26	

	

	 • Other custody and trust services provided by U.S. or foreign 	
	
persons who have no discretion, or who have very limited 	
	
discretion, to act independently from instructions provided by the 		
investor or another principal	
	

Include services with foreign persons conducted over the Internet.

	

Include fees for cryptocurrency custody services.

	

Exclude services where you are at risk of incurring a loss, such as
underwriting and private placement services (service codes 3.1 and
3.2).

	

U.S. issuers of American Depositary Receipts (ADRs) and American
Depositary Shares (ADSs) – Report on Schedule B your
payments to foreign correspondent institutions for holding the
securities backing the ADRs and ADSs. U.S. issuers of ADSs should
also report, on Schedule A , any receipts of sponsorship fees
from foreign persons.
BE-180 Instructions (REV. 01/2025)

GENERAL INSTRUCTIONS – Continued
Do not report fees received from or paid to a U.S. subsidiary (or U.S.
affiliate) of a foreign person, because, for the purposes of this survey,
these are considered U.S., not foreign, persons.

	

8.	 Securities lending services – U.S. securities lenders and borrowers
and their agents should report amounts received directly from or
paid directly to foreign persons for lending or borrowing securities.
Report fees received by or paid to principals or agents for arranging
loan terms and conditions, monitoring the value of collateral,
providing guarantees against default, and providing other securities
lending services. Report rebates received or paid on “borrow versus
cash transactions.” Do not report amounts received from or paid
to foreign persons by a U.S. or foreign agent upon the default of
a customer, because such payments are not considered to be for
financial services. Do not report interest under repurchase or reverse
repurchase agreements, because interest is not reportable (although,
as mentioned, rebates are reportable) on this form.
9.	 Electronic funds transfer services – Report fees for the electronic
funds transfers of money or financial assets received directly from or
paid directly to foreign persons. Include payments to SWIFT.
	

Include fees for transactions on crowdfunding platforms.	

	

Include fees related to cryptocurrency mining services.

10.	 Other financial services – Report the total amount of sales to
or purchases from foreign persons related to all other financial
services combined. Report the type of service(s) accounting for the
largest share of the value being reported on line 31 (or line 34 of
the overflow pages) at the bottom of Schedule A / Schedule
B Examples of services that may be reported under this category
include:
•	 Asset pricing services
•	 Security exchange listing fees

that are reportable on this form, including payments of brokerage
commissions and fees for investment management or financial advisory
services to foreign persons.
E. 	Interest and dividend receipts and payments – For the purposes
of this survey, interest and dividends are considered to be investment
income rather than income from services, and are therefore not covered
by this survey.
F. 	 Premiums and other proceeds from writing (selling) options,
forwards, futures, and swaps – Premiums from writing options, and
fees and other proceeds from writing forwards, futures, and swaps are
not covered. (However, explicit brokerage commissions on transactions
in these financial instruments are covered under service code 2, Other
brokerage services.)
G. 	 Earnings of principals from buying and selling (including dealing,
trading, holding, or arbitrage) of financial instruments, except
foreign currency exchange transactions – For the purposes of
this survey, these types of earnings are considered to be “capital
gains” (that is, earnings that are not from current production) rather
than payments for financial services, and are therefore not covered.
However, underwriting is considered to be a financial service and is
covered under service codes 3.1 and 3.2.
H. 	Foreign currency exchange transactions – Bid/ask price spreads
and trading profits on currency exchange transactions are not covered.
However, explicit commissions paid to currency exchange brokers are
covered under service code 2.2.
I. 	Bond transactions – Bid/ask price spreads and trading profits on bond
transactions are not covered. However, explicit commissions paid to
bond brokers are covered under service code 2.2.
			

VIII. REPORTING PROCEDURES

•	 Demand deposit fees

A. 	Due date – A completed BE-180 report is due by July 31, 2025.

•	 Securities rating services

B. 	Extensions – Requests for an extension of the reporting deadline, if
provided in writing, may be considered if received prior to the July 31,
2025 due date. You may fax the request to (301) 278-9508 or e-mail
the request to [email protected]. BEA will provide a written
response to such a request.

•	 Check processing fees
•	 Overdraft fees
•	 Mutual fund exit fees, load charges, 12b–1 service fees, and hedge 	
fund exit fees
• Security redemption or transfer services
• ATM network services
•	 Securities or futures clearing and settling services
•	 Crypto-wallet fees
DO NOT report real estate brokerage fees (real estate services),
business brokerage fees (business services), and commodity or
merchandise brokerage fees (wholesale or retail trade services),
because these are not considered financial services.
Note that some types of financial services are not covered on this
form. See Part VII. of the Instructions for a list of types of transactions
not to be reported.

C. 	Assistance – Phone (301) 278-9303 for assistance or send an email to
[email protected].
D. 	 Rounding – Report currency amounts in U.S. dollars rounded to
thousands (omitting 000). For example, if the amount is $1,334,515.00,
report it as $1,335.
E. Estimates – If actual figures are not available, restimates may be
provided.
F.	 Original and file copies – File a single original copy of the form. In
addition, retain a copy of the report in your files to facilitate resolution
of problems; these copies should be retained by the U.S. Reporter for a
period of not less than three years beyond the original due date.
G. 	Where to send the report
File a report electronically at www.bea.gov/efile

VII. TYPES OF TRANSACTIONS EXCLUDED FROM COVERAGE
DO NOT report the following types of transactions on this survey:
A. 	Stock quotation and financial information services – These are
instead covered by forms BE-120 and BE-125, under Database and
other information services. (See BEA’s web site www.bea.gov/ssb for
more information).
B. 	Insurance premiums and losses, and commissions on insurance
– These are covered on other BEA forms. (See BEA’s web site www.
bea.gov/ssb for more information). Charges at the individual policy
level also are not covered.

Send reports through the U.S. Postal Service to:
Bureau of Economic Analysis
Balance of Payments Division, BE-50 (SSB)
4600 Silver Hill Rd.
Washington, DC 20233
Send reports filed by direct private express delivery to:
Bureau of Economic Analysis
Balance of Payments Division, BE-50 (SSB)
4600 Silver Hill Rd.
Suitland, MD 20746
Fax reports to: (301) 278-9508.

C. 	Annuity purchases and payments to annuitants – Annuity
purchases and payments to annuitants are not covered. Also, charges
at the individual policy level, including insurance company fees on
variable annuities, are not covered.
D. 	Pension fund contributions and benefits – Pension fund
contributions and pension benefits are not covered. However, U.S.
pension funds may engage in other financial services transactions
FORM BE-180 (REV. 01/2025)	

Page 27

OVERFLOW SHEET FOR  Schedules A  OR  B  OF 2024 FORM BE-180,
BENCHMARK SURVEY OF FINANCIAL SERVICES TRANSACTIONS BETWEEN
U.S. FINANCIAL SERVICES PROVIDERS AND FOREIGN PERSONS
Company Name
Form BE-180 Schedule

Control Number
__ _ (Enter “A” or “B”)

(1)

02.
03.
04.
05.
06.
07.
08.
09.
10.
11.
12.
13.
14.
15.
16.
17.
18.
19.
20.
21.
22.
23.
24.
25.

BEA USE ONLY __________

00.

Country total for this page
(sum of 02–25). . . . . . . . . . . . 

01.

Foreign affiliates
(3)

(2)

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

Foreign parent group
(4)

000

4

002
003
004
005
006
007
008
009
010
011
012
013
014
015
016
017
018
019
020
021
022
023
024

000

4

000

025

__ _ of __ _

Service Code
____________________

BEA
USE
ONLY

Country

Overflow Page#

000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000

Unaffiliated foreign persons
(5)
5

000
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4

000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000

4

000

000

5

000
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5

000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000

5

000

000

	26. If you reported purchases of service code 10, Other financial services, specify the major type of financial service:
034 0

NOTE — Use this overflow sheet if there is insufficient space on Form BE-180, Schedule A or B , to list every individual foreign country with which
you had transactions. Additional overflow sheets, as well as a version of the survey in Microsoft Excel format, can be found at www.bea.gov/be180.
Page 28	

BE-180 Instructions (REV. 01/2025)

OVERFLOW SHEET FOR  Schedules A  OR  B  OF 2024 FORM BE-180,
BENCHMARK SURVEY OF FINANCIAL SERVICES TRANSACTIONS BETWEEN
U.S. FINANCIAL SERVICES PROVIDERS AND FOREIGN PERSONS
Company Name
Form BE-180 Schedule

Control Number
__ _ (Enter “A” or “B”)

(1)
BEA USE ONLY __________

00.

Country total for this page
(sum of 02–25). . . . . . . . . . . . 

01.

02.
03.
04.
05.
06.
07.
08.
09.
10.
11.
12.
13.
14.
15.
16.
17.
18.
19.
20.
21.
22.
23.
24.
25.

Foreign affiliates
(3)

(2)

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

Foreign parent group
(4)

000

4

002
003
004
005
006
007
008
009
010
011
012
013
014
015
016
017
018
019
020
021
022
023
024

000

4

000

025

__ _ of __ _

Service Code
____________________

BEA
USE
ONLY

Country

Overflow Page#

000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000

Unaffiliated foreign persons
(5)
5

000
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4

000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000

4

000

000

5

000
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5

000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000

5

000

000

	26. If you reported purchases of service code 10, Other financial services, specify the major type of financial service:
034 0

NOTE — Use this overflow sheet if there is insufficient space on Form BE-180, Schedule A or B , to list every individual foreign country with which
you had transactions. Additional overflow sheets, as well as a version of the survey in Microsoft Excel format, can be found at www.bea.gov/be180.
FORM BE-180 (REV. 01/2025)	

Page 29

OVERFLOW SHEET FOR  Schedules A  OR  B  OF 2024 FORM BE-180,
BENCHMARK SURVEY OF FINANCIAL SERVICES TRANSACTIONS BETWEEN
U.S. FINANCIAL SERVICES PROVIDERS AND FOREIGN PERSONS
Company Name
Form BE-180 Schedule

Control Number
__ _ (Enter “A” or “B”)

(1)

02.
03.
04.
05.
06.
07.
08.
09.
10.
11.
12.
13.
14.
15.
16.
17.
18.
19.
20.
21.
22.
23.
24.
25.

BEA USE ONLY __________

00.

Country total for this page
(sum of 02–25). . . . . . . . . . . . 

01.

Foreign affiliates
(3)

(2)

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

1

2

3

Foreign parent group
(4)

000

4

002
003
004
005
006
007
008
009
010
011
012
013
014
015
016
017
018
019
020
021
022
023
024

000

4

000

025

__ _ of __ _

Service Code
____________________

BEA
USE
ONLY

Country

Overflow Page#

000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000

Unaffiliated foreign persons
(5)
5

000
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4
4

000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000

4

000

000

5

000
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5
5

000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000
000

5

000

000

	26. If you reported purchases of service code 10, Other financial services, specify the major type of financial service:
034 0

NOTE — Use this overflow sheet if there is insufficient space on Form BE-180, Schedule A or B , to list every individual foreign country with which
you had transactions. Additional overflow sheets, as well as a version of the survey in Microsoft Excel format, can be found at www.bea.gov/be180.
Page 30	

BE-180 Instructions (REV. 01/2025)


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