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10 Strategies Used by the Rich to Pay No Taxes!

If you have lots of money, Tuesday, April 17, was one of the best tax days since the early 1930s: Top tax rates on ordinary income, dividends, estates, and gifts remain at or near historically low levels. That’s thanks, in part, to legislation passed in December 2010 by the 111th Congress and signed by President Barack Obama. Starting next January, rates may be headed higher.

For the 400 U.S. taxpayers with the highest adjusted gross income, the effective federal income tax rate—what they actually pay—fell from almost 30 percent in 1995 to just over 18 percent in 2008, according to the Internal Revenue Service. And for the approximately 1.4 million people who make up the top 1 percent of taxpayers, the effective federal income tax rate dropped from 29 percent to 23 percent in 2008. It may seem too fantastic to be true, but the top 400 end up paying a lower rate than the next 1,399,600 or so.

That’s not just good luck. It’s often the result of hard work, as suggested by some of the strategies below. Much of the income among the top 400 derives from dividends and capital gains, generated by everything from appreciated real estate—yes, there is some left—to stocks and the sale of family businesses. As Warren Buffett likes to point out, since most of his income is from dividends, his tax rate is less than that of the people who clean his office.

For more go to Blumberg Business Week.

Read more at: Tax Times blog

Swiss bank Pictet gave data to U.S. in tax probe

ZURICH (Reuters) - Swiss bank Pictet said on Sunday it handed over bank account details to U.S. authorities probing cases of tax evasion, as a newspaper reported it had accepted funds from two former UBS clients suspected of having cheated on taxes.

Pictet said in a statement the data handover took place in November 2010 via the Swiss tax office, which had received a request for assistance from its U.S. counterparts.

This is the latest episode in an ongoing dispute between the United States and Switzerland over wealthy Americans accused of avoiding taxes by hiding money in secret Swiss accounts.

Eleven Swiss banks - including Credit Suisse and Julius Baer but not Pictet - are under scrutiny by the United States for aiding U.S. citizens suspected of tax dodging.

Banking secrecy has helped the Swiss build up a $2 trillion offshore wealth management industry.

The investigation into the 11 Swiss banks was fed by data culled in a crackdown on UBS, which that bank settled in 2009 by handing over thousands of client data, paying a fine and admitting wrong-doing.

In a related interview with the SonntagsZeitung, Patrick Odier, president of the Swiss Bankers Association, said another case like that of Wegelin & Co. could not be ruled out.

Wegelin, Switzerland's oldest bank, buckled under the pressure of a long-running campaign by U.S. tax authorities and broke itself up in January. Wegelin had accepted money from UBS clients suspected of dodging tax.

"U.S. authorities could have enough material to weigh on banks other than those on the 11-bank list," Odier said.

Switzerland is trying to get investigations into 11 banks dropped in return for the payment of fines and the transfer of U.S. client names. It is also seeking a deal to shield the remainder of its 300 or so banks from U.S. prosecution.

Swiss Finance Minister Eveline Widmer-Schlumpf has said she hoped for a deal before the end of the year.

"We need to draw a line under it, so there are no more charges," Odier said.

The Tax Lawyers of Marini and Associates, P.A. have helped many Taxpayers resolve their tax issues associated with unreported Foreign Bank Income!

We can advise you on how to obtain a Deferred Prosecution Agreement, how to make a Voluntary Disclosure and alternative defenses for dealing with your unreported Foreign Bank Income.

If you have unreported Foreign Bank Income, contact the Tax Lawyers at Marini & Associates, P.A. for a FREE Tax Consultation at www.TaxAid.us or www.TaxLaw.ms or Toll Free 888 882 9243 (888 8 TaxAid).

Read more at: Tax Times blog

FATCA timelines and release dates

On May 7th, at the 26th Annual Tax Reporting & Withholding Conference in Arlington, VA, IRS representatives discussed timelines and release dates pertaining to Chapter 4 (FATCA) implementation.

§  Final regulations are still expected to be released at the end of this summer.

§  Draft FFI Agreements should be available by the end of June.

§  There may still be some flexibility in the implementation deadlines; however, the IRS needs to know how much time is needed for each portion and requested specific comments.

§  Coordinating rules for FATCA and Chapter 3 (U.S. nonresident withholding) and Chapter 61 (backup withholding) are in process.

§  There is work being undertaken to develop a model intergovernmental agreement; however, no specifics were provided on when a model intergovernmental agreement would be provided.

In addition, the IRS said that there will be a Form W-8 for individuals, and a Form W-8 for entities. The Form W-8 for entities is expected to be complex.

Read more at: Tax Times blog

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