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

Seminar: Navigating Foreign Waters: The Complex Requirements of Foreign Accounts Compliance on US tax laws

2 March, 2015

With the IRS aggressively targeting taxpayers with unreported offshore accounts, tax professionals must know benefits and pitfalls of offshore accounts.

Our firm presented technical seminars titled Navigating Foreign Waters: The Complex Requirements of Foreign Accounts Compliance on US tax laws to tax professionals on foreign account disclosure, FBARs, and compliance programs to The Institute of Chartered Accountants of India (ICAI) and the Bombay Chartered Accountants’ Society. Materials from the seminars can be downloaded here: Navigating Foreign Waters- Discussion on the U.S. Laws for Foreign Accounts Compliance. 

Related Posts

  • Navigating Foreign Waters: The Complex Requirements of Foreign Accounts Compliance

    Tomorrow night our firm will be presenting a three hour seminar to tax professionals on…

  • Foreign Account Tax Compliance Act - Traps for the Unwary

    For anyone who has clients or family members that live and work abroad, the new…

  • Top myths of US tax compliance for Foreign Accountholders

    There is a lot of misinformation so we decided to debunk the top myths of…

Tags: amnestyAsset Protection FBAR foreign account hsbc icai offshore SDOP SFOP voluntary disclosure
Category: Planning for Tax Minimization

Post navigation

Previous: New Warnings in the IRS’ Streamlined Filing Compliance Procedures
Next: Which is better: an Incentive Stock Option (aka a statutory stock option) (an “ISO”) or a Nonqualified Stock Option (aka a Nonstatutory Stock Option) (an “NQO”)?

Related Posts

With No More Amnesty Program: Explore the IRS’s Traditional Voluntary Disclosure program

Even though the deadline for the Internal Revenue Service’s 2011…

Read More

Finally: IRS Reminds Those with Foreign Assets of U.S. Tax Obligations

The IRS has finally decided that educating taxpayers and tax…

Read More

The Trust Fund Recovery Penalty in Focus: United States v. Flaim and the Unwavering Standard of “Willfulness”

The Trust Fund Recovery Penalty (TFRP), authorized under Internal Revenue…

Read More

Recent Posts

  • Navigating the US Estate Portability Election: Strategic Timing and Compliance Procedures for Form 706July 13, 2026
  • IRS Transitions from First Time Abatement to Automated Penalty Relief: Strategic Impacts for Tax AdvisorsJuly 11, 2026
  • Parag Patel to Present on IRS Foreign Asset Enforcement at the 2026 NATP TaxposiumJuly 9, 2026
  • The End of the IRS Delinquent FBAR Submission Procedures?: Still Available under IRM 4.26.16.3.11July 8, 2026
  • Parag Patel Speaks at 2026 NJCPA Convention: Navigating the High Stakes of Criminal TaxJuly 3, 2026
  • New Court Case on FBAR Penalty LimitsJuly 1, 2026
  • New Escalating Wave of PPP Enforcement: Key Takeaways for New Jersey Employers and Tax ProfessionalsJune 26, 2026
  • Establishing Depreciation Basis for Inherited Rental Properties: A Guide for Tax ProfessionalsJune 26, 2026
  • PPP Loan Fraud Enforcement Intensifies: What Employers Need to Know in 2026June 20, 2026
  • New Penalty Landscape: Analyzing the October 2025 Updates to IRM 21.8.2.19.2 for Late-Filed Forms 3520May 27, 2026

Law Firm Attorney WordPress Theme By Themespride