The United States Justice Department has received 106 requests from
Swiss entities to participate in a settlement program aimed at ending a
long-running probe of tax-dodging by Americans using Swiss bank
accounts according to a senior US official.
We first posted "Swiss Banks Agree to Plan to End Past US Tax Evasion Issues!" on August 29, 2013, where we discussed that Swiss banks were ready to pay hefty fines for sheltering United States tax fugitives under the terms of a new deal given the green light by the Swiss government.
We first posted "Swiss Banks Agree to Plan to End Past US Tax Evasion Issues!" on August 29, 2013, where we discussed that Swiss banks were ready to pay hefty fines for sheltering United States tax fugitives under the terms of a new deal given the green light by the Swiss government.
Kathryn Keneally, a senior official
of the US DOJ's tax division, said the department was 'gratified' by the
response to the offer, although it does not expect that all the applicants will
be granted non-prosecution. The programme is open only to banks, who will have
to pay between 20 and 50 per cent of the value of undeclared US-owned accounts
as at 1 August 2008.
Reports are also appearing that
Credit Suisse, Switzerland's second largest bank, is close to reaching its own
settlement with the US DOJ. Credit Suisse is one of the 13 banks excluded from
the US DOJ amnesty because it was already being investigated when he program
was announced, but it is still free to negotiate its own non-prosecution deal.
Moreover, the bank will have to
disclose a great deal of information about its American clients, even including
some of their names.
Thus US taxpayers who have used a Swiss bank accounts may now want to consider applying for the US Offshore Voluntary Disclosure Program (OVDP), which sets a limit to the penalties imposed on them by the Internal Revenue Service (IRS) for failing to declare foreign assets and earnings.
Thus US taxpayers who have used a Swiss bank accounts may now want to consider applying for the US Offshore Voluntary Disclosure Program (OVDP), which sets a limit to the penalties imposed on them by the Internal Revenue Service (IRS) for failing to declare foreign assets and earnings.
However, once the Swiss banks disclosed an account holder's name to the IRS, OVDP election is no longer
available to that account holder.
Sources:
Taxpayers who wish to take advantage of the
OVDP must act quickly!
The US Can Use Swiss Data for Enforcement Actions!
The new agreement makes clear that “personal data provided by the Swiss
banks… will be used and disclosed only for purposes of law enforcement
(which may include regulatory action) in the United States or as
otherwise permitted by US law.”
Have Un-Reported Income From a Swiss Bank?
Value Your Freedom?
Value Your Freedom?
Contact the Tax Lawyers at
Marini & Associates, P.A.
for a FREE Tax Consultation Contact US at
or Toll Free at 888-8TaxAid (888 882-9243888 882-9243)
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