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Tag: ovdi

Difference between Form 8938 and FBAR Requirements

9 April, 2012

Comparison of Form 8938 and FBAR Requirements     Many holders of foreign financial assets must file two disclosure forms this year or else risk draconian penalties. They are Form 8938, which is due with

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Frequent Scenarios in Offshore Voluntary Disclosures

3 April, 2012

I have frequently seen the following scenarios in working with clients to determine whether a offshore voluntary disclosure program filing (OVDP) is appropriate and how they should report foreign account. First, a parent or grandparent

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IRS Form 8938 and the Offshore Voluntary Disclosure Program (OVDP)

30 January, 2012

The announcement by the IRS of the opening of the new Offshore Voluntary Disclosure Program (OVDP) on January 9, 2012 came as a surprise to most tax practitioners, especially since the 2011 OVDI just ended

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Analysis of the new 2012 Offshore Voluntary Disclosure Program (OVDP)

10 January, 2012

Yesterday the Internal Revenue Service opened its Offshore Voluntary Disclosure Program (OVDP) to encourage more taxpayers with assets in undeclared foreign bank accounts to come forward.  While the OVDP was not expected by most tax

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IRS Announces New 2012 Offshore Voluntary Disclosure Program (OVDP)

9 January, 2012

The Internal Revenue Service today reopened the offshore voluntary disclosure program to help people hiding offshore accounts get current with their taxes. The IRS reopened the Offshore Voluntary Disclosure Program (OVDP) following continued strong interest

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Beware: IRS Form 8938 Statement of Specified Foreign Financial Assets

3 January, 2012

Form 8938, Statement of Specified Foreign Financial Assets, is a new reporting form. Form 8938 will be used to report certain foreign financial assets as required as part of the Hiring Incentives to Restore Employment

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IRS Reminds U.S. citizens and dual citizens about U.S. filing requirements

12 December, 2011

In a fact sheet (IRS FS-2011-13) released last week, the IRS reminded U.S. citizens and dual citizens of the United States and foreign countries who live abroad about U.S. filing requirements, including Form TD F

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The Risks of “Opting Out” of OVDI

29 October, 2011

Under the 2011 OVDI voluntary disclosure program, the penalties for failing to timely file Foreign Bank Account Reports, (FBAR’s) and the penalties for failure to file information returns (such as Controlled Foreign Corporation tax returns)

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What if You Missed the OVDI Deadline?

7 October, 2011

Although the OVDI program has expired, a U.S. taxpayer can still make a voluntary disclosure of foreign accounts pursuant to the IRS’s general voluntary disclosure policy. For over 50 years, the IRS has maintained a

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HSBC India Customer New Indictment Uncovers More HSBC Details

29 September, 2011

A Wisconsin neurosurgeon was re- indicted by a U.S. grand jury on new charges that he failed to declare an HSBC Holdings Plc (HSBA) account in India valued in 2009 at $8.7 million.  Arvind Ahuja

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For Tax Professionals: A Guide to the IRS’s Voluntary Disclosure Practice

19 September, 2011

IRS Commissioner Shulman has invited persons with unreported foreign accounts to come forward and avail themselves of the IRS’s Voluntary Disclosure Practice. That practice is described in the Internal Revenue Manual 9.5.11.9. The Practice has

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New Extended Deadline for OVDI

30 August, 2011

Last week, late on Friday afternoon, August 26, 2011, the IRS issued a statement indicating that the due date for filing 2011 Offshore Voluntary Disclosure Initiative (OVDI) requests has been extended until September 9, 2011,

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