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Category: Planning for Tax Minimization

Start or review an “Accountable Plan”

9 September, 2019

Accountable Plans, established under IRS Reg. Section 1.62-2(c)(4), are important tools to help a business optimally classify expenses paid to employees without fear of the payments being treated as taxable compensation. The 2017 law known

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The IRS Large Business and International division (LB&I) has announced a new Post OVDP Compliance enforcement campaign

12 August, 2019

The new Post OVDP Compliance enforcement campaign was recently identified through LB&I data analysis and suggestions from IRS employees. IRS employees likely saw that many taxpayers were not properly reporting offshore bank accounts, as a

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New IRS Enforcement Letters Warn of Cryptocurrency Non-Compliance

4 August, 2019

Last week, the Internal Revenue Service began sending letters to taxpayers with virtual currency transactions that potentially failed to report income and pay the resulting tax from virtual currency transactions or did not report their

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The IRS Large Business and International division (LB&I) has announced a new Loose Filed Forms 5471 compliance enforcement campaign

1 August, 2019

The new Loose Filed Forms 5471 targeted enforcement campaign was identified through LB&I data analysis and suggestions from IRS employees. IRS employees likely received many Loose Filed Forms 5471 that were not properly filed, as

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Details of the Streamlined Foreign Offshore Procedures (SFOP)

19 July, 2019

Many U.S taxpayers are unfortunately surprised to discover that they have a U.S. tax reporting obligation on financial accounts or assets held overseas. Once they discover their tax and reporting obligation, there are a number

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The IRS Large Business and International division (LB&I) has announced a new Offshore Private Banking enforcement campaign

12 July, 2019

The new Offshore Private Banking enforcement campaign was recently identified through LB&I data analysis and suggestions from IRS employees. IRS employees likely saw that many taxpayers were not properly reporting offshore bank accounts, as a

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Details of the Streamlined Domestic Offshore Procedures

2 July, 2019

Many U.S taxpayers are unfortunately surprised to discover that they have a U.S. tax reporting obligation on financial accounts or assets held overseas. Once they discover their tax and reporting obligation, there are a number

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The IRS is Hiring: Expect New Enforcement

1 July, 2019

I recently returned from the American Bar Association’s Taxation conference in Washington, D.C., which is the largest gathering of tax lawyers in the country. At the conference, I attended a speech given by the new IRS

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The New IRS Voluntary Disclosure Practice: Not a Good Deal for Noncompliant Taxpayers

28 June, 2019

For all voluntary disclosures received after September 28, 2018, the IRS has a new program called the Voluntary Disclosure Practice (VDP), which is for both domestic and international noncompliance. Unlike the old Offshore Voluntary Disclosure Program

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US Court finds non-willful FBAR penalty not limited to $10,000 per year

20 May, 2019

Earlier this month, the U.S. District Court for the Central District of California ruled in U.S. v. Jane Boyd (No. 2:18-cv-00803) that the non-willful penalty for failing to file foreign bank account reports (FBARs) is not limited

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Details of the Delinquent International Information Return Submission Procedures (DIIRSP)

19 May, 2019

The Delinquent International Information Return Submission Procedures are one of the four methods for taxpayers with unreported offshore accounts to become compliant.  Taxpayers who have failed to file certain international-related information returns.  It applies to all

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IRS Announces Increased Enforcement on Form 5471

3 May, 2019

On April 16, 2019, the Large Business and International (LB&I) Division of the Internal Revenue Service (IRS) announced a new compliance campaign to focus on the separate detach filing of Forms 5471 by US shareholders

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