A Couple of Interesting Rulings in Undisclosed Foreign Account Penalty Cases
1. United States v. Forbes (here) a. The taxpayer failed to timely file FBARs and had significant unreported income related to the...
1. United States v. Forbes (here) a. The taxpayer failed to timely file FBARs and had significant unreported income related to the...
In a prior blog post here my colleague, Chris Weeg, discussed using Bitcoin as part of year end charitable giving. Bitcoin has been in the news lately as the value of a single Bitcoin has risen dramatically in the...
Time is running out to make charitable contributions for the 2017 tax year. With virtual currencies trading at record highs, contributions of this pioneering property may be a viable option for some. The most common (and...
As of the date of this article, the U.S. Congress is considering two different legislative proposals that would cause significant changes to the U.S. income taxation of international business activities and investments. The...
IRS officials are making it known that the IRS is losing patience with taxpayers who have not come forward to fully report their offshore activities. Not only is the IRS doubling down on its efforts to audit taxpayers who...
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