Wednesday, June 20, 2018

FBAR and FATCA 2018: Preparing for the Next Round of Offshore Tax Compliance

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FBAR and FATCA 2018: Preparing for the Next Round of Offshore Tax Compliance
July
 
2
1 pm - 2:15 pm ET
Presenter: Matthew D. Lee, partner at Fox Rothschild LLP
Credits: CPE, IRS EA, CLE in all states (Credit Details)
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Course Description
 
Over the past several years, the Internal Revenue Service (the "IRS") has focused much of its attention on offshore bank accounts and the obligation of U.S. taxpayers to report such accounts on the Report of Foreign Bank and Financial Accounts ("FBAR") form. The FBAR rules require taxpayers to annually report whether they have a financial interest in, or signature or other authority over, foreign bank accounts, and may impose substantial civil and criminal penalties for failing to do so. In addition taxpayers have an obligation to report their worldwide income, whether earned domestically or offshore. The IRS has also imposed additional reporting requirements that obligates U.S. taxpayers to annually disclose specified foreign financial assets on an IRS Form 8938 when they file their personal income tax returns. The IRS Form 8938 requirement is part of the Foreign Account Tax Compliance Act ("FATCA") which was enacted by Congress in 2010 as a measure to prevent U.S. taxpayers from hiding their wealth overseas. At its core, FATCA is mechanism for the IRS to receive a wealth of information with respect to a U.S. taxpayer's foreign bank accounts in that FATCA requires foreign banks and financial institutions to annually disclose to the IRS information about their U.S. depositors. FATCA has significant tax consequences for those U.S. taxpayers who have previously undisclosed foreign bank accounts. In this course, you will learn about:
  • The the new FATCA foreign asset reporting rules
  • Updates to the existing FBAR reporting regime for foreign bank accounts
  • The FATCA information reporting regime for foreign banks
  • The U.S. government's enforcement efforts
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The Presenter
About The Presenter
 
Matthew D. Lee is a partner with Fox Rothschild LLP. He is a former U.S. Department of Justice trial attorney who concentrates his practice on all aspects of white collar criminal defense, federal tax controversies, financial institution regulatory compliance, and complex civil litigation. Mr. Lee represents companies and individuals in criminal investigations and prosecutions involving tax, money laundering, health care, securities, public corruption, and fraud offenses, and has significant experience in handling all stages of state and federal litigation including trials and appeals. He also represents taxpayers in all stages of proceedings before the Internal Revenue Service, including audits, appeals, and collections, as well as Tax Court and district court litigation.
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