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IRS offshore voluntary discosure program reopens

  • Morrison & Foerster LLP
  • -
  • USA
  • -
  • January 10 2012

On January 9, 2012, the Internal Revenue Service (the “IRS”) reopened indefinitely its offshore voluntary disclosure program (the “2012 OVDP”) to assist taxpayers in reporting undisclosed foreign accounts, assets, and income

FinCEN and IRS extend certain FBAR filing deadlines

  • Morrison & Foerster LLP
  • -
  • USA
  • -
  • June 20 2011

During the past few weeks, the Financial Crimes Enforcement Network (“FinCEN”) and the Internal Revenue Service (“IRS”) released three notices affecting the filing of Form TD F 90-22.1 “Report of Foreign Bank and Financial Accounts” (“FBAR”), which are discussed below

IRS unveils 2011 Offshore Voluntary Disclosure Initiative

  • Morrison & Foerster LLP
  • -
  • USA
  • -
  • February 14 2011

On February 8, 2011, the IRS unveiled the 2011 Offshore Voluntary Disclosure Initiative ("OVDI"), pursuant to which taxpayers may come forward, through August 31, 2011, to report previously undisclosed foreign accounts, assets, and income

IRS demands taxpayers’ “help” in applying complex Internal Revenue Code

  • Morrison & Foerster LLP
  • -
  • USA
  • -
  • January 27 2010

On January 26, 2010, the Internal Revenue Service ("IRS") published Announcement 2010-9 (the "Announcement") addressing proposed reporting requirements with respect to uncertain tax positions of certain business taxpayers