Skip to content
Tax Law Center Blog

Tax Law Center Blog

  • Tax & Foreign Assets
    • Tax Law Services
    • Foreign Asset Planning
  • About
  • Contact Us
Close Button

Day: May 6, 2015

Helpful Non-willful FBAR penalty case decided by court

6 May, 2015

For the first time, in the case of James Moore, Plaintiff v. United States of America, Defendant (James Moore v. U.S. Case 2:13-cv-02063-RAJ filed 4/1/15), we finally get a look at some non-willful FBAR penalty

Read More

Recent Posts

  • Parag Patel, Esq. Presents “Latest Federal Tax Controversy Update” for NJCPA Membership+November 13, 2025
  • Parag Patel, Esq. Presents at New Jersey Society of Certified Public Accountants — “One Big Beautiful Bill”November 11, 2025
  • The Trust Fund Recovery Penalty in Focus: United States v. Flaim and the Unwavering Standard of “Willfulness”November 7, 2025
  • ₿ Reporting Digital Assets: Understanding the Basic Income Tax Rules for CryptocurrencyNovember 4, 2025
  • The End of an Era: The IRS Eliminates the Acknowledgement of the Facts IDROctober 31, 2025

Pages

  • About Patel Law Offices
  • Delinquent FinCen Form 114 (FBAR) Filings
  • Delinquent or unfiled IRS Form 5471
  • Request A Free Educational Consultation

Law Firm Attorney WordPress Theme By Themespride