by Michele Weiss | Apr 4, 2023 | FBAR, Internal Revenue Service, Offshore Income
Michele Weiss, Principal at Holtz, Slavett & Drabkin, will participate in a Beverly Hills Bar Association panel exploring how to navigate the new landscape for Foreign Bank Account Report (FBAR) penalties in light of the U.S. Supreme Court decision in Bittner v....
by David J. Warner | Jun 22, 2022 | FBAR, Internal Revenue Service, Offshore Income
On June 21, 2022, the U.S. Supreme Court decided to review (that is, granted certiorari) in the case of Bittner v. United States. This case centers around the report of foreign bank and financial accounts (FBAR) and penalties for not timely filing the FBAR form. The...
by Gary Slavett | Sep 23, 2009 | FBAR
Over the past 5 months, the IRS has issued 52 answers to frequently asked questions regarding the IRS’ Offshore Voluntary Disclosure Program. The questions and answers provide valuable guidance into the offshore voluntary disclosure program and should be...