How to Fix Missed FBAR Filings: Will I Get in Trouble? When a U.S. person (U.S. Citizen, Lawful Permanent Resident, or Foreign National who meets the Substantial Presence Test) has foreign accounts, assets, or other investments, they may be required to file the annual FBAR (FinCEN Form 114) to report this information to the U.S. […] The post How to Fix Missed FBAR Filings: Will I Get in Trouble? appeared first on International Tax Attorney | IRS Offshore Voluntary Disclosure.| International Tax Attorney | IRS Offshore Voluntary Disclosure
Dispelling FBAR Myths, Fear-Mongering & Other Nonsense The FBAR is a government form that many U.S. taxpayers are required to file each year, in addition to their tax returns, to report their foreign accounts, assets, and investments. While the FBAR is not an IRS form, the Internal Revenue Service is tasked with enforcement — […] The post Dispelling FBAR Myths, Fear-Mongering & Other Nonsense appeared first on International Tax Attorney | IRS Offshore Voluntary Disclosure.| International Tax Attorney | IRS Offshore Voluntary Disclosure
Thinking of Transferring Assets Offshore? 5 Key Points In today’s global market, it is not uncommon for US taxpayers to want to transfer assets offshore or to acquire foreign accounts and investments to expand their portfolio. There is nothing inherently illegal about transferring assets offshore or purchasing foreign assets. Where the problem arises is that […] The post Are You Considering Transferring Assets Offshore? 5 Key Facts appeared first on International Tax Attorney | IRS Offsho...| International Tax Attorney | IRS Offshore Voluntary Disclosure
Offshore Accounts: Do You Require IRS Voluntary Disclosure? GOLDING & GOLDING, BOARD-CERTIFIED TAX LAWYER SPECIALIST.| International Tax Attorney | IRS Offshore Voluntary Disclosure
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(New) Update to IRS 3520 Penalty Enforcement Explained 2025 At the close of 2024, the then-acting IRS Commissioner of the Internal Revenue Service made a statement that the IRS intends to change the method for assessing 6039F (Form 3520) penalties for failing to report foreign gifts. Unlike various other types of international information reporting forms, […] The post New Update to IRS 3520 Foreign Gift Penalty Enforcement appeared first on International Tax Attorney | IRS Offshore Voluntar...| International Tax Attorney | IRS Offshore Voluntary Disclosure
The IRS Will Remove VDP Willfulness Checkbox in Updated Form. GOLDING & GOLDING, BOARD-CERTIFIED TAX LAWYER SPECIALIST.| International Tax Attorney | IRS Offshore Voluntary Disclosure
2025 FBAR Investigation, Compliance, Penalties, Traps & Defenses In recent years, there has been a significant increase in IRS enforcement of FBAR (FinCEN Form 114) compliance and related foreign account reporting matters. Even though the FBAR form has been around for over 50 years, with the introduction of FATCA Form 8938 in 2011/2012 came an […] The post Compliance with FBAR: Penalties, Traps, Investigations & Defenses appeared first on International Tax Attorney | IRS Offshore Voluntary ...| International Tax Attorney | IRS Offshore Voluntary Disclosure
Should I Close My Unreported Foreign Accounts? In recent years, the Internal Revenue Service has made enforcement of foreign account, asset, investment, and income reporting a key compliance priority. In a now all too familiar scenario, a US Person (Citizen or Resident) will come to learn that they did not report their foreign assets or […] The post Why Closing an Unreported Foreign Account is Not a Solution appeared first on International Tax Attorney | IRS Offshore Voluntary Disclosure.| International Tax Attorney | IRS Offshore Voluntary Disclosure
How (Legally) Moving Money Overseas Leads to IRS Audits While it is perfectly legal to move your money offshore, unless you remain tax compliant with your offshore investments, it may result in an IRS audit, fines, and penalties. In recent years, the number of U.S. taxpayers who have come under audit for failing to be […] The post How (Legally) Moving Money Overseas Can Lead to an IRS Audit appeared first on International Tax Attorney | IRS Offshore Voluntary Disclosure.| International Tax Attorney | IRS Offshore Voluntary Disclosure
A Foreign Accounts & FBAR Penalties Overview (2025 Update, with Examples). GOLDING & GOLDING, BOARD-CERTIFIED TAX LAWYER SPECIALIST.| International Tax Attorney | IRS Offshore Voluntary Disclosure
New IRS International and Foreign Information and Foreign Return Penalty Risks Explained. GOLDING & GOLDING, BOARD-CERTIFIED TAX SPECIALIST.| International Tax Attorney | IRS Offshore Voluntary Disclosure
International Tax Investigation: The IRS has made offshore assets and foreign accounts compliance a key IRS international enforcement Priority| International Tax Attorney | IRS Offshore Voluntary Disclosure
An Overview of the Expatriation Process, How to Expatriate? GOLDING & GOLDING, BOARD-CERTIFIED TAX LAWYER SPECIALIST For U.S. Expatriation.| International Tax Attorney | IRS Offshore Voluntary Disclosure
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CP15 Notice: IRS Penalty Charge and Timely Response. IRS CP15 Notice is a Penalty Notice with a Strict Time Requirement (3520, 3520-A, 5471).| International Tax Attorney | IRS Offshore Voluntary Disclosure
A Form 8938 Beginner's Guide with Common Reporting Examples GOLDING & GOLDING, BOARD-CERTIFIED TAX LAWYER SPECIALIST TEAM. FORM 8938.| International Tax Attorney | IRS Offshore Voluntary Disclosure
With IRS Closing DIIRSP, is Streamlined Offshore Next? The IRS recently closed DIIRSP. Will Streamlined Offshore Procedures be next?| International Tax Attorney | IRS Offshore Voluntary Disclosure
IRS OVDP 2023: New Offshore Voluntary Disclosure Rules. New Updated IRS OVDP Offshore Penalties, Eligibility and Description.| International Tax Attorney | IRS Offshore Voluntary Disclosure
Kovel Letter - Attorney-Client Privilege when Hiring a CPA? Board-Certified Tax Law Specialist Firm Attorney.| International Tax Attorney | IRS Offshore Voluntary Disclosure
Attorney Fees for Foreign Tax Compliance: Example of how not to get swindled by attorneys with artificially low up-front hourly lawyer fees.| International Tax Attorney | IRS Offshore Voluntary Disclosure
Is Foreign Pension Plan Income Taxable, Which Forms to File (2024). Golding & Golding, Board-Certified Tax Law Specialist. Foreign Pension.| International Tax Attorney | IRS Offshore Voluntary Disclosure
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IRS Offshore Penalty: How to Protect Your Foreign Money. The International Tax Lawyers at Golding & Golding specialize in IRS Offshore Penalty Abatement.| International Tax Attorney | IRS Offshore Voluntary Disclosure
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FBAR (Foreign Bank & Financial Account Reporting) Explained. Almost Everything to Know for Reporting Foreign Bank & Financial Accounts.| International Tax Attorney | IRS Offshore Voluntary Disclosure
How to Choose the Right Offshore Disclosure Tax Lawyer For You. Learn How to Pick the Right Offshore Disclosure/Unreported Accounts Attorney.| International Tax Attorney | IRS Offshore Voluntary Disclosure
FATCA Reporting: (New) Foreign Account Filing Rules 2022. Learn How FATCA Reporting works in 2020 & Important Tips for IRS Survival.| International Tax Attorney | IRS Offshore Voluntary Disclosure
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IRS International Tax Form Guide: 5 IRS Forms You Should Know. International Tax Lawyers, Golding & Golding: Board-Certified Tax Law Specialist.| International Tax Attorney | IRS Offshore Voluntary Disclosure
The Streamlined Foreign Offshore Procedures (Examples) (SFOP). GOLDING & GOLDING, BOARD-CERTIFIED TAX LAWYER SPECIALIST.| International Tax Attorney | IRS Offshore Voluntary Disclosure
Eligibility for IRS Streamlined Domestic Offshore Procedures (Examples 2025). SDOP. GOLDING & GOLDING, BOARD-CERTIFIED TAX LAWYER SPECIALIST.| International Tax Attorney | IRS Offshore Voluntary Disclosure
Unreported Foreign Income: Important Procedures to Follow. If you have Unreported Foreign Income here are some action you should take.| International Tax Attorney | IRS Offshore Voluntary Disclosure
Almost Everything About Form 5471 to Know (with Examples) 2025. GOLDING & GOLDING, BOARD-CERTIFIED TAX LAWYER SPECIALIST. IRS FORM 5471.| International Tax Attorney | IRS Offshore Voluntary Disclosure
Malta Pension Plan Enforcement, Compliance, and Penalties. Malta Retirement Schemes, Listed Transaction, Tax Shelter, Civil, Criminal, IRS.| International Tax Attorney | IRS Offshore Voluntary Disclosure
Court Holds that Flora Full Payment Rule Inapplicable to FBAR. The Federal Court of Claims Flora Rule Does Not Apply FBAR Penalty Litigation.| International Tax Attorney | IRS Offshore Voluntary Disclosure
What is the Substantial Presence Test, Calculation Examples 2025. GOLDING & GOLDING, BOARD-CERTIFIED TAX LAWYER SPECIALIST.| International Tax Attorney | IRS Offshore Voluntary Disclosure
FBAR Willful Penalty: What is the Definition of Willfulness?IRS FBAR Willful Penalties Defined, and how IRS Proves Taxpayer Willfulness.| International Tax Attorney | IRS Offshore Voluntary Disclosure
Unreported Foreign Accounts: How to Safely Disclose to IRS in 2021. How to Disclose to Unreported Prior Year Foreign Bank Accounts.| International Tax Attorney | IRS Offshore Voluntary Disclosure
Board-Certified Tax Law Specialist: Education & Experience. Why Hire a Board-Certified Tax Law Specialist and how to avoid Inexperienced Counsel.| International Tax Attorney | IRS Offshore Voluntary Disclosure
Quiet Disclosure IRS: 10 Reasons to Avoid the Penalty Risks. Learn why the IRS aggressively pursues Quiet Disclosures of taxes and income.| International Tax Attorney | IRS Offshore Voluntary Disclosure
New IRS Voluntary Disclosure Program (Offshore): 2024 OVDP. IRS Voluntary Disclosure Program Penalties & Procedures have been updated.| International Tax Attorney | IRS Offshore Voluntary Disclosure
US Person vs. US Citizen: Worldwide Income & Asset Rules. A U.S. person includes U.S. Citizens, Legal Permanent Residents, & Substantial Presence Test.| International Tax Attorney | IRS Offshore Voluntary Disclosure
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Penalties for Late IRS Form 3520, Avoiding Form 3520 Fines. Golding & Golding, Board-Certified Tax Specialist. Fighting Form 3520 Penalties.| International Tax Attorney | IRS Offshore Voluntary Disclosure