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Yearly Archives: 2013

Issues with Streamline Program – Letter 4087?

According to Nathan Farkas, CPA, CA, CPA(NY):
 

Lately, a bunch of my clients have been getting letter 4087 from the IRS from the streamlined program. The letters are saying my clients did not submit signed tax returns, or signed FBAR forms or the signed questionnaire. I know that in all cases where my clients are getting these letters, all the requested documents were properly submitted to the IRS. I put together each package and made sure that all documents were included in the package.

Another thing I noticed on this is that in each case where a client got the letter 4087, there was an ITIN application for a family member, be it a spouse or a child. In all my streamlined cases, over 75% of cases where the client applied for ITIN numbers for a family member, they received a letter 4087 saying that returns or FBARS were missing. In over 75% of cases where there was no ITIN application, the returns were assessed and the case resolved in a fairly quick manner.

How have others been dealing with this situation and does anyone have a similar results from the streamlined processes?

Having Problems With OVDP "Streamline Program"

Contact the Tax Lawyers

at Marini & Associates, P.A.
 
for a FREE Tax Consultation
or Toll Free at 888-8TaxAid (888 882-9243).

 

 

Read more at: Tax Times blog

Florida Husband & Wife Indicted for Hiding Assets in Offshore Bank Accounts.

Drs. David Leon Fredrick and Patricia Lynn Hough, of Englewood, Fla., were indicted by a federal
grand jury in Fort Myers, Fla., for conspiring to defraud the Internal Revenue Service (IRS) by concealing millions of dollars in assets and income in offshore bank accounts at UBS and other foreign banks, the Department of Justice and IRS announced today.

According to the indictment, Fredrick and Hough, married doctors, served on the Board of Directors of two Caribbean-based medical schools – one located on Saba, Netherlands Antilles, and one located on Nevis, West Indies. Fredrick had an ownership interest in the medical school on Nevis until 2007, when both medical schools were sold.

The indictment alleges that Fredrick and Hough conspired with each other and with Beda Singenberger, a citizen and resident of Switzerland who is under indictment in the Southern District of New York, and a UBS banker to defraud the IRS. They carried out the conspiracy by creating and using nominee entities and undeclared bank accounts in their names and the names of the nominee entities at UBS and other foreign banks to conceal assets and income from the IRS, including the sale of real estate associated with the medical school on Saba and shares they owned in the medical school on Nevis. The real estate was sold for more than $33 million, all of which was deposited into one of their undeclared accounts in the name of a nominee entity.

It is further alleged in the indictment that Fredrick and Hough used emails, telephone and in-person meetings to instruct Swiss bankers and asset managers to make investments and transfer funds from their undeclared accounts at UBS. It is alleged that Fredrick and Hough caused funds from the medical schools' undeclared accounts to be transferred to undeclared accounts in their individual names or in the names of nominee entities. Fredrick and Hough then used the funds in their undeclared accounts to purchase an airplane, two homes in North Carolina and a condominium in Sarasota, Fla. Fredrick also transferred more than $1 million to his relatives.

Fredrick and Hough were also charged with four counts of filing false tax returns for 2005, 2006, 2007 and 2008. The indictment alleges that Fredrick and Hough filed false tax returns which substantially understated their total income and failed, on Schedule B, Parts I and III, to report that they had an interest in or signature or other authority over bank, securities or other financial accounts located in foreign countries. U. S. citizens, resident aliens and legal permanent residents of the United States have an obligation to report to the IRS on the Schedule B of a U.S. Individual Income Tax Return, Form 1040, whether they had a financial interest in, or signature authority over, a financial account in a foreign country in a particular year by checking "Yes" or "No" in the appropriate box and identifying the country where the account was maintained. U. S. citizens and residents also have an obligation to report all income earned from foreign bank accounts on their tax returns.
A trial date has not been scheduled. An indictment is merely an accusation, and every defendant is presumed innocent unless and until proven guilty.

The conspiracy charge carries a maximum potential penalty of five years in prison and a $250,000 fine. The false return charges each carry a maximum potential penalty of three years in prison and a $250,000 fine.

Undeclared Income from an Offshore Bank Account?
Contact the Tax Lawyers
at Marini & Associates, P.A.
 
for a FREE Tax Consultation
or Toll Free at 888-8TaxAid (888 882-9243).

DOJ

Read more at: Tax Times blog

IRS Cancels Furlough Day for July 22nd :)

We originally posted on Friday, April 19, 2013, IRS Begins Furlough Notice which include a discussion that the IRS would be closed on July 22, 2013

The Internal Revenue Service has canceled one of its five furlough days planned for this year under the automatic spending cuts known as the sequester.

Acting IRS Commissioner Daniel Werfel told employees in a memo that the agency had would no longer force employees to take unpaid leave on July 22.

So the IRS will be OPEN on Monday!

Having Trouble Contacting the IRS to Resolve Your Tax Problem?

Contact the Tax Lawyers at Marini & Associates, P.A.
 

for a FREE Tax Consultation at:
Toll Free at 888-8TaxAid (888 882-9243).

 

Read more at: Tax Times blog

Swiss Banks To Turn Over Information To IRS!

The Swiss government has cleared the way for a dozen banks to turn over client data to the IRS despite an earlier ruling from Switzerland’s Federal Supreme Court.


Although the IRS pushed the implementation of certain FATCA key deadlines from January 1st to July 1st, 2014, as we posted in IRS Delays FATCA Registration for Six Months, several Swiss banks are ready to turn over their records over to the IRS.

The Swiss Federal Court has dismissed protests by American clients of Credit Suisse that their account data should not be disclosed to the US Internal Revenue Service (IRS).


The IRS and Justice Department have become very adept at finding unreported offshore accounts. By targeting banks and individual bankers, the IRS is often able to leverage the threat of jail in return for cooperation and the release of customer records. The IRS also has several other tools in its arsenal.

On Tuesday, June 18, 2013, we posted DOJ Requests Identification of US Depositors in Bank Weglin - Time To Come Clean? where we discussed that the US Department of Justice has submitted another administrative assistance request to the Swiss authorities, this one demanding the identification of American clients of the private bank Wegelin who were beneficiaries of asset management companies between 2002 and 2012.

Two weeks previous to this Bank Wegelin, the private bank Julius Baer was also notified that it was subject of a similar request.

U.S. authorities have more than a dozen banks under formal investigation, including:

  • Credit Suisse,
  • Julius Baer,
  • the Swiss Branch of HSBC,
  • Pictet and
  • Zuercher Kantonalbank and
  • Basler Kantonalbank.

Many U.S. taxpayers have been sitting on the fence waiting to see what happens with FATCA or the outcome of this case. That could prove to be a very costly mistake!

 

Once your name is turned over to the government, its probably too late to take advantage of any of the amnesty programs. Customers with accounts at Israel based Bank Leumi learned that lesson the hard way.

Because the IRS operates it’s amnesty programs on a “first contact” basis, its important to approach the IRS before they find you or before your name is turned over.

Undeclared Income from a Swiss Bank Account?

Contact the Tax Lawyers
at Marini & Associates, P.A.
 
for a FREE Tax Consultation
or Toll Free at 888-8TaxAid (888 882-9243).


 
Source:

Swissinfo

Read more at: Tax Times blog

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