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30 Apr 2009, 9:37 am
Even taxpayers who have reported all of the income that was used to fund the offshore accounts are at risk for a 50% FBAR penalty. [read post]
16 Jun 2013, 5:12 pm by Kelly Phillips Erb
You can also contact the IRS directly by calling 800-800-2877 and selecting option 2 or emailing FBARquestions@irs.gov (questions only to this email address, the system doesn’t accept actual FBARs). [read post]
12 Sep 2012, 2:59 pm by Pamela
There is a new compliance offer by the IRS that gives those who qualify a chance to avoid all penalties for not filing the FBAR and not filing U.S. income tax returns. [read post]
7 Jun 2011, 9:39 am by Darrin Mish
 You may request for an extension till November 30, 2011 to submit your amended tax returns, FBAR form or account information to the IRS only IF you can furnish evidence that you did try to fully comply with the August 31 deadline. [read post]
21 Aug 2012, 2:05 pm by Darrin Mish
Tax Problem for Romney is a post from: IRS Tax Problem Solver Blog - IRS Help [read post]
21 Dec 2020, 12:42 am by Bright!Tax Writers
FBARs should be filed to FinCEN (the Financial Crimes authority), rather than to the IRS, online, by October 15th. [read post]
16 Jun 2009, 9:55 am
He hopes to enhance information reporting on offshore account holders, increase tax withholding on U.S. citizens with foreign bank accounts in countries deemed "tax havens," double tax penalties for failure to file FBARs, and allow the IRS more time for investigation by increasing the statute of limitations from three years to six years. [read post]
23 Jun 2011, 7:00 am
U.S. residents who maintain offshore bank accounts are required to file foreign bank account reports TDF 90-22.1 (FBAR). [read post]
26 Mar 2011, 7:06 pm by Patti Spencer
Willfully failing to file an FBAR and willfully filing a false FBAR are both violations that are subject to criminal penalties. [read post]
13 May 2024, 10:18 am by Wiggam Law
Form 8938 goes to the IRS, and the FBAR goes to FinCEN. [read post]
11 Nov 2011, 6:00 am
If that is the case then it may be too late for these individuals to file a Foreign Bank Account Reports (FBAR) on TDF 90-22.1. [read post]
11 May 2010, 2:10 pm by Dennis N. Brager
If you have a tax litigation lawyers at Brager Tax Law Group, A P.C. to get more information on FBARs. [read post]
11 Dec 2011, 11:12 am by sandylaw
This new Form 8938 is much more detailed in scope and required information and is in addition to the FBAR reporting obligation; it is a Super FBAR. [read post]
11 Nov 2008, 9:28 pm
  Here is an excerpt  from  a  recently issued  statement of the  IRS Office or Professional Responsibility (”OPR”)  titled Professional Responsibility and the Report of Foreign Bank and Financial Accounts (FBAR): We understand that FBAR non-filers are blaming their preparers for their failure to file - stating that they have reasonable cause for failure to file because… [read post]
15 Sep 2022, 5:27 am by admin
The IRS will still continue to offer the following options to address previous failures and comply with US tax return obligations: IRS Criminal Investigation Voluntary Disclosure Program Delinquent FBAR submission procedures Delinquent International information return submission procedures It would be more recommendable to book a consultation with our expert US expat accountants. [read post]