FBAR and FATCA – Two Abbreviations That Can Wrap You Around the IRS Axle
FBAR and FATCA are two important abbreviations for those who have overseas financial interests. Failure to file the FBAR report, in view of the IRS’s
FBAR and FATCA are two important abbreviations for those who have overseas financial interests. Failure to file the FBAR report, in view of the IRS’s
Knowingly filing a false tax return and aiding another to do so are violations of the IRC, Section 7206. Briefly summarized, those violations encompass: Tax
Underpinning the vast power of the IRS to collect our tax money is the Internal Revenue Code (26 U.S.C), hereafter referred to as the IRC.
As a tax attorney specializing in OVDP, nary a day goes by that I don’t get a call from a person inquiring about the OVDP
I. The Residence of Individuals Individual residents of the United States, regardless of nationality, must pay U.S. tax on their worldwide income. U.S. taxation of
United States v. Tweel is the most famous example of a motion to suppress in a tax case. In Tweel, the Fifth Circuit Court of
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