Catalogue of offshore prosecutions strikes fear into US taxpayers
The US Justice Department (USDoJ) has in the past five years publicly charged 74 accountholders with offshore banking offences, of whom 61 have pleaded guilty, seven were convicted at trial and five await trial. Of the 38 bankers and advisors charged, six have pleaded guilty and several are fugitives, says the USDoJ in an announcement intended to influence US persons preparing to file their returns before the 15 April deadline.
US
taxpayers who have unreported income from 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.
Taxpayers who wish to take advantage of the OVDP must act quickly!
Have Un-Reported Income From a Foreign Bank?
Value Your Freedom?
Value Your Freedom?
Contact the Tax Lawyers at
Marini & Associates, P.A.
Before April 30th
Before April 30th
for a FREE Tax Consultation Contact US at
or Toll Free at 888-8TaxAid (888 882-9243 )
Of
the accused, 61 have pleaded guilty, seven were convicted at trial and
five are still awaiting trial or at large. The most celebrated is the
property investor Victor Lipukhin, accused of maintaining secret UBS
bank accounts worth more than USD10 million in the name of sham Bahamas
entities. Lipukhin is a Russian citizen and resident, and is not even a
US taxpayer.
In the same period, 38 bankers and advisors have been charged with related offences. Six of these have pleaded guilty, most recently the former Credit Suisse banker Andreas Bachmann. Others are awaiting trial, including former Senior UBS Official Raoul Weil, who last December agreed to be extradited to the US, where he plans to defend himself. Several others are still evading the USDoJ's clutches – technically classed as fugitives from American justice.
The Justice Department also recited its success last year in obtaining 'John Doe' court orders against several US banks that held correspondent bank accounts for various foreign banks. These orders, it says, will allow it to identify US taxpayers with bank accounts in Switzerland, the Cayman Islands, Guernsey, the Bahamas, Barbados, Hong Kong, Malta and the UK.
The USDoJ announcement, which is clearly designed to influence US persons preparing to file their returns before the 15 April deadline, also lists its successes against the promotion and use of 'abusive tax shelters'. It draws special attention to last December's Supreme Court ruling in the Woods cases, in which it was held that a 40 per cent penalty applies when a taxpayer engages in an abusive tax shelter scheme that lacks economic substance.
In the same period, 38 bankers and advisors have been charged with related offences. Six of these have pleaded guilty, most recently the former Credit Suisse banker Andreas Bachmann. Others are awaiting trial, including former Senior UBS Official Raoul Weil, who last December agreed to be extradited to the US, where he plans to defend himself. Several others are still evading the USDoJ's clutches – technically classed as fugitives from American justice.
The Justice Department also recited its success last year in obtaining 'John Doe' court orders against several US banks that held correspondent bank accounts for various foreign banks. These orders, it says, will allow it to identify US taxpayers with bank accounts in Switzerland, the Cayman Islands, Guernsey, the Bahamas, Barbados, Hong Kong, Malta and the UK.
The USDoJ announcement, which is clearly designed to influence US persons preparing to file their returns before the 15 April deadline, also lists its successes against the promotion and use of 'abusive tax shelters'. It draws special attention to last December's Supreme Court ruling in the Woods cases, in which it was held that a 40 per cent penalty applies when a taxpayer engages in an abusive tax shelter scheme that lacks economic substance.
Sources
- US Justice Department
- Tax Controversy Watch
- Holland & Knight (Lipukhin case)
- Reuters (Bachmann case)
- Reuters (Weil case)
Of
the accused, 61 have pleaded guilty, seven were convicted at trial and
five are still awaiting trial or at large. The most celebrated is the
property investor Victor Lipukhin, accused of maintaining secret UBS
bank accounts worth more than USD10 million in the name of sham Bahamas
entities. Lipukhin is a Russian citizen and resident, and is not even a
US taxpayer.
In the same period, 38 bankers and advisors have been charged with related offences. Six of these have pleaded guilty, most recently the former Credit Suisse banker Andreas Bachmann. Others are awaiting trial, including former Senior UBS Official Raoul Weil, who last December agreed to be extradited to the US, where he plans to defend himself. Several others are still evading the USDoJ's clutches – technically classed as fugitives from American justice.
The Justice Department also recited its success last year in obtaining 'John Doe' court orders against several US banks that held correspondent bank accounts for various foreign banks. These orders, it says, will allow it to identify US taxpayers with bank accounts in Switzerland, the Cayman Islands, Guernsey, the Bahamas, Barbados, Hong Kong, Malta and the UK.
The USDoJ announcement, which is clearly designed to influence US persons preparing to file their returns before the 15 April deadline, also lists its successes against the promotion and use of 'abusive tax shelters'. It draws special attention to last December's Supreme Court ruling in the Woods cases, in which it was held that a 40 per cent penalty applies when a taxpayer engages in an abusive tax shelter scheme that lacks economic substance.
In the same period, 38 bankers and advisors have been charged with related offences. Six of these have pleaded guilty, most recently the former Credit Suisse banker Andreas Bachmann. Others are awaiting trial, including former Senior UBS Official Raoul Weil, who last December agreed to be extradited to the US, where he plans to defend himself. Several others are still evading the USDoJ's clutches – technically classed as fugitives from American justice.
The Justice Department also recited its success last year in obtaining 'John Doe' court orders against several US banks that held correspondent bank accounts for various foreign banks. These orders, it says, will allow it to identify US taxpayers with bank accounts in Switzerland, the Cayman Islands, Guernsey, the Bahamas, Barbados, Hong Kong, Malta and the UK.
The USDoJ announcement, which is clearly designed to influence US persons preparing to file their returns before the 15 April deadline, also lists its successes against the promotion and use of 'abusive tax shelters'. It draws special attention to last December's Supreme Court ruling in the Woods cases, in which it was held that a 40 per cent penalty applies when a taxpayer engages in an abusive tax shelter scheme that lacks economic substance.
Sources
- US Justice Department
- Tax Controversy Watch
- Holland & Knight (Lipukhin case)
- Reuters (Bachmann case)
- Reuters (Weil case)
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