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Tag Archives: §1.6011-4(b)(2)
Offshore Bank Accounts Or Foreign Assets Can Lead To An Information Document Request (IDR) From The IRS
A couple of months ago, we wrote about the extended deadline for filing the paperwork to take advantage of the IRS’s 2011 Offshore Voluntary Disclosure Initiative (OVDI). We would like to believe that anyone who was in a position to … Continue reading →
Posted in Offshore Bank Account, Overseas Assets, Tax Law
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Tagged §1.6011-4(b)(2), federal tax, Foreign Assets, foreign bank account, Form 4564, IDR, Income Tax Regulations, Information Document Request, Internal Revenue Service, IRS, listed transactions, Offshore Bank Account, Offshore Voluntary Disclosure Initiative, OVDI, overseas assets, Pleasanton, San Francisco, San Francisco Bay, San Jose, San Mateo, tax attorney, tax avoidance transactions, tax returns, tax shelters
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