Thursday, October 29, 2009

Do you have an unreported foreign bank account and you missed the Amnesty Program?

Are you afraid to enter into the I.R.S Voluntary Compliance Program?

You are not alone. Richard Lehman, a Florida tax lawyer, specializing in the amnesty and voluntary compliance areas of tax law is organizing a class of people for the purpose of approaching I.R.S. to force it to apply the “Doctrine of Tax Payer Equality” and extend equal treatment to all taxpayers so that taxpayer(s) can continue to take advantage of long standing policies by the I.R.S. that allow them to clear their records without facing confiscatory civil penalties or criminal violations.
Lehman believes that a well represented large group of taxpayers is the taxpayers’ best chance of fairness and equal treatment. Learn how to become part of this group contact Richard Lehman Today!
Are you going to wait until more information is supplied to the I.R.S. from foreign banks and face criminal tax charges when you can still avoid them right now?

Mr. Lehman has spent years as an attorney with the I.R.S., in addition he has over 35 years of private practice experience representing clients dealing with the I.R.S. Please contact him today to help guide you through the process of determining the best choice available for you, without waiving valuable rights.

Richard S. Lehman, Esq.
2600 N. Military Trail, Suite 270
Boca Raton, FL 33431
561-368-1113 Telephone
561-998-9557 Fascimile

Tuesday, October 6, 2009

Prior to the announcement of the Amnesty program, the Internal Revenue Service always had a Voluntary Compliance program

Amnesty – Mostly the Innocent? What do you do about it?

Prior to the announcement of the Amnesty program, the Internal Revenue Service always had a Voluntary Compliance program that would permit taxpayers who had not filed their returns properly, or not filed tax returns at all, to come forward on their own. By voluntarily filing the appropriate tax returns or amended tax returns to make the sure taxpayer was current with the Internal Revenue Service, the criminal tax exposure was waived so long as no investigation of the taxpayer was in process.

This program, which was relied on for years, would normally require the taxpayer to pay the taxes due on the late or amended returns, the interest due on those taxes and a late payment penalty or accuracy penalty of 25%. Other than that, on only rare occasions would a case require the payment of any more penalties, unless of course there was obvious fraud, which could result in higher penalties.
Recently, the Internal Revenue Service published statistics that reflected approximately 3,500 people have taken advantage of the Amnesty Program. This seems rather small in light of the fact that there are published figures that indicate there are approximately 100,000 individuals with offshore bank accounts, approximately 50,000 of which are involved with U.B.S.
From a law practice standpoint, it seems that a lot of the very “innocent” and “near innocent” are stepping forward to take advantage of the Amnesty Program. These are individuals that otherwise would ordinarily qualify for the regular Internal Revenue Service Program.

However, because of the Amnesty Program, the Internal Revenue Service is going to look closer at Voluntarily Compliance filings “outside” of the Amnesty Program. Therefore, for the first time, taxpayers must face a choice of whether to accept the Amnesty Program with its guaranty of no criminal exposure and its penalty tax of 20% on the bank deposits, or to file under the ordinary Voluntary Compliance Program and avoid criminal exposure, and face potential civil penalties that could be higher than the 20% payment on bank deposits.

In many cases these are taxpayers that have not been hiding bank deposits of unreported income from business or illegal activities. Rather they have been hiding bank deposits from inheritances and other previously taxed income. By choosing amnesty, now everything becomes subject to the 20% bank deposit tax. In accounts where there have been big losses, the removing offshore balances might be less than the 20% tax.

Attorney-client privilege is one of the strongest privileges available under law.

Richard S. Lehman, P.A.
2600 N. Military Trail, Suite 270
Boca Raton, Florida 33431
Telephone: (561) 368-1113
Facsimile: (561) 998-9557