Report of Foreign Bank and Financial Accounts
Remember the 2007 Treasury Report of Foreign Bank and Financial
Accounts (FBAR), Form TD F 90-22.1 is due on June 30, 2008.
The report must be filed even if you only have signature authority
or other authority for bank, securities or other types of
financial accounts in a foreign country if the aggregate value of
the accounts was more than $10,000 during 2007. Of course, the
accounts you own or otherwise have a financial interest in must be
reported.
See the instructions for the form for details.
Let us know if you would like our assistance to prepare the form.
The IRS is aggressively looking for income earned from offshore
sources that isn't being reported on federal income tax returns of
US residents. For example, with the cooperation of Bradley
Birkenfeld, formerly a banker with Swiss bank UBS A.G., the IRS is
prosecuting American billionaire Igor Olenicoff. Olenicoff has
already plead guilty to filing a false 2002 income tax return.
Birkenfeld says he helped Mr. Olenicoff conceal $200 million
offshore.
There are severe penalties for failing to file the FBAR. Civil
penalties for non-willful failure to file can be up to $10,000 per
violation. There are civil penalties of up to the greater of
$100,000 or 50% of the unreported amount. Criminal penalties can
be up to a $500,000 fine or 10 years imprisonment, or both.
The IRS says it will waive penalties when late forms are filed
with an explanation of a reasonable cause.
(IR-2008-79, June 27, 2008.)
IRS Circular 230 Disclosure:
As required by U.S. Treasury Regulations, you are hereby advised
that any written tax advice contained in this communication was
not written or intended to be used (and cannot be used) by any
taxpayer for the purpose of avoiding penalties that may be
imposed under the U.S. Internal Revenue Code.
Consult with a tax advisor
For our readers who aren’t tax advisors, this newsletter is intended to alert you about tax issues that could affect you. It is not a substitute for advice from a professional tax advisor. You will find that getting advice from a qualified advisor is a worthwhile investment.
Tax advisors should view the newsletter as an alert to become aware of issues relating to employee stock options for further research and study.
(Michael Gray is the co-author of Employee Stock Options – A Strategic Planning Guide for the 21st Century Optionaire. You can order the book at www.amazon.com or www.barnesandnoble.com or buy it at Stacey’s Books.)
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