Offshore Bank Accounts
The United States Department of Justice (DOJ) and the Internal Revenue Service (IRS) are continuing to investigate U.S. taxpayers who have undisclosed offshore accounts in Switzerland at Swiss bank UBS.
The United States government is also negotiating with the Swiss to disclose U.S. taxpayers with accounts at other Swiss banks, including private cantonal banks once renowned for their secrecy. Now is the time for U.S. taxpayers with offshore accounts to report these undisclosed offshore accounts to the IRS.
The IRS has announced its 2012 Offshore Voluntary Disclosure Program for taxpayers with undisclosed offshore accounts.
Thorn Law Group currently represents United States taxpayers making voluntary disclosures of their offshore accounts.
Basic terms of the 2012 IRS Amnesty program are:
- The 27.5 percent penalty of the undisclosed offshore accounts that is based on the highest total account balance over an eight-year period.
- Taxpayers must pay back taxes and interest on any unreported income for up to eight years as well as accuracy related and/or delinquency penalties.
- Taxpayers must file all original and amended tax returns and include payments for taxes, interest and accuracy related penalties.
Participants who successfully complete the 2012 IRS Offshore Voluntary Disclosure Program can avoid criminal prosecution, and severe civil penalties.
Contact Kevin E. Thorn, Managing partner at Thorn Law Group today for more information at email@example.com or at (202) 270-7273.