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A new willful FBAR penalty case is getting way in the Southern District of New York. And from the looks of it, the taxpayer appears
Form 5471 is triggered in situations where a “U.S. Person” owns an interest in a “foreign” (non-U.S.) corporation. The specific reporting requirements for Form 5471
On September 4, 2018, the Internal Revenue Service (IRS) reminded taxpayers that they have until September 28, 2018 to apply for the Offshore Voluntary Disclosure
There’s no denying the will of the government. In the U.S., what the government says effectively goes, and if you don’t like it – well,
In general, the United States government is adept at primarily imposing its laws and policies on those who live in the country or are otherwise
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