Everything You Always Wanted To Know About The Offshore Voluntary Disclosure Program And Foreign Bank Account Reports But Were Afraid To Ask

Neda Barkhordar, Esq.May 21 - Everything You Always Wanted To Know About The Offshore Voluntary Disclosure Program And Foreign Bank Account Reports But Were Afraid To Ask

Neda Barkhordar, Esq.
Givner & Kaye, A Professional Corporation






Neda Barkhordar will discuss:

The IRS has been charged by the Department of Treasury with
finding taxpayers who have failed to report taxable income on
undisclosed non-U.S. bank accounts. Those who have simply
failed to file “FBARs” – foreign bank account reports – are not
the target. Those people can simply file the later reports. However,
if you both failed to file the FBAR – now FinCen 114 – and
failed to report significant amounts of taxable income, you are
in danger of being criminally prosecuted. The longer you delay,
the more likely it is that you will face not merely significant
fines for the FBAR and tax penalties for the unreported income,
but also criminal prosecution. There are now at least three alternative
programs under which you might qualify. Neda will
discuss all the alternatives and answer all your questions. The
IRS will eventually get to every bank in the world, so the longer
you wait, the worse your situation will be.

Bring your questions and concerns.

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Enter your contact info to RSVP for this seminar.
Date: Thursday May 21, 2015
Time:
2:30pm - 4:00pm
Location:
The Law Offices of Givner & Kaye, APC.
12100 Wilshire Blvd., Suite 445
Los Angeles, CA 90025

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