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Category: Planning for Tax Minimization

IRS Most Common Tax Notices and What They Mean

19 November, 2016

The IRS has redesigned its correspondence notices to be more “user friendly.”  This is supposed to make their notices easier to understand and therefore allow responses to occur in a more effective and efficient manner. 

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US Taxation of Foreign trusts: Foreign grantor trust

11 November, 2016

What is a foreign grantor trust (“FGT”). A FGT is typically used when a non-U.S. Person individual (i.e., an individual who is a non-U.S. citizen, not a “green card” holder, or otherwise not considered a

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FBAR Reforms Recommended

31 October, 2016

If you have a financial interest in or signature authority over a foreign financial account, including a bank account, brokerage account, mutual fund, trust, or other type of foreign financial account, exceeding certain thresholds, the

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IRS Collects $10 Billion From Voluntary Disclosures of Foreign Assets

26 October, 2016

The Internal Revenue Service’s efforts to prod taxpayers to disclose their offshore bank accounts and pay taxes on their holdings have reached the $10 billion mark and prompted over 100,000 taxpayers to come forward, the

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Action Required: New Jersey Estate Tax is Repealed

24 October, 2016

Earlier this month, on October 14, 2016, New Jersey Governor Chris Christie signed into law that increased the NJ Estate Tax exemption from $675,000 to $2 million for deaths in 2017, and fully eliminated the

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Cost of Compliance Rises under OVDP

19 October, 2016

The cost of compliance for many people is growing.  Those U.S. persons with bank accounts in foreign jurisdictions who have yet to come into compliance with U.S. tax filing requirements have very little time.  In

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New Jersey to repeal estate tax

11 October, 2016

Last week, the New Jersey legislature announced its plan to repeal estate tax by January 2018.  The New Jersey estate tax is presently one of the highest in the nation. For state residents the estate

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Substantially Completed Form 5471 is Required to be Filed

29 September, 2016

IRS has recently released a new International Practice Unit (IPU) providing guidance to its examiners on the monetary penalties applicable if certain categories of U.S. shareholders fail to comply with the reporting requirements on Form

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Resolving IRS disputes through audit reconsideration

6 September, 2016

An audit reconsideration is defined by the Internal Revenue Manual (IRM) as: the process the IRS uses to reevaluate the results of a prior audit where additional tax was assessed and remains unpaid, or a tax

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New FATCA Enforcement Expected

4 September, 2016

The IRS has tightened its enforcement of the Foreign Account Tax Compliance Act (“FATCA”). FATCA was enacted in 2010 by Congress to target non-compliance by U.S. taxpayers using foreign accounts. FATCA requires foreign financial institutions

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Trinidad and Tobago and the United States sign new agreement to exchange of information under FATCA

31 August, 2016

Last week Trinidad and Tobago and the United States signed an agreement to facilitate automatic exchange of information under the US Foreign Account Tax Compliance Act (FATCA). FATCA, enacted by the US Congress in 2010,

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Taxation of Employment-related Discrimination Claims

28 August, 2016

Proceeds from a settlement involving an employment-related discrimination case may be taxable to the employee under some circumstances and not taxable in others.   Non-taxable settlement amounts: Medical expenses associated with medical distress; Emotional distress,

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