Why is the IRS OVDP or Offshore Voluntary Disclosure Program the safest choice for US taxpayers coming into compliance with IRS FBAR disclosures? How does the OVDP reduce risk for US citizens and foreign resident nationals who are required to file US tax returns? The key issue is the IRS'...
IRS FBAR Submission is Due June 30 – Come Into FBAR Compliance
If you are a US expatriate or a taxpayer with offshore accounts, investments, assets or income you should be aware your IRS FBAR submission is due June 30 of this year. Starting next year, FBAR reporting will coincide with the normal IRS deadline of April 15. The FBAR or IRS Foreign Bank...
Once Contacted by the IRS – You Cannot File OVDP or other FBAR Compliance
The IRS Offshore Audits Have Begun The IRS has begun the first round of offshore income, asset and bank account reporting audits, and once contacted by the IRS a taxpayer cannot file OVDP or other FBAR compliance paperwork or applications. At this point the only alternative is to contact the...
Don’t Let IRS Impeachment Hearings Fool You – The IRS Offshore and FBAR Audits Aren’t Going Anywhere but Up
Don't be distracted by the US House of Representatives hearings where they are attempting to impeach IRS Commissioner John Koskinen. The commissioner stands accused of many allegations including lying to congress, abuse of power and other acts that diminish confidence in one of the US Government's most powerful agencies. Meanwhile,...
San Diego FBAR Attorneys Guide Offshore Compliance with IRS
If you have offshore accounts, investments or assets and have not come into compliance with the IRS, you should contact the San Diego FBAR attorneys at Allen Barron, who will provide guidance and insight into your options and help to ensure the best outcome in your case. Which voluntary disclosure...
IRS Hires 700 New Auditors
The IRS hires 700 new auditors raising the ire of republican watchdogs and raising new questions about Commissioner John Koskinen's previous testimony regarding budget cuts and the need for an increase in the budget for the IRS. The Chairman of the House Oversight and Reform Committee responded sharply: "Now, less than...
IRS Wins Case Against Taxpayer Outed by Swiss Bank UBS Group Who Claimed “Innocent Error”
For all US taxpayers who have been watching developments in FATCA, FBAR reporting and the IRS Offshore Voluntary Disclosure Program or OVDP, last week's court case was striking in it's message: The IRS will not accept taxpayer claims of "innocent error" or related claims such as "ignorance to the law"...
Court Dismisses Case Against $1.4M IRS Offshore Penalty
A Texas court has dismissed a lawsuit against the IRS asserting that the IRS burden of proof to assess a $1.4M IRS offshore penalty had not been met. The IRS originally asserted that the plaintiff's failure to file an FBAR for his offshore accounts, assets and investments in 2008 was...
36 US Taxpayers Exposed for Tax Fraud by Panama Papers
A new batch of data in the "Panama Papers" was released this morning by the International Consortium of Journalists - the group of international journalists who is managing the editing and release of 11.5 million documents collectively known as the Panama Papers. 36 US taxpayers were among those exposed for...
