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Undeclared Foreign Accounts—Voluntary Disclosures and FBARs After the IRS Settlement Initiative
Caplin & Drysdale

Undeclared Foreign Accounts—Voluntary Disclosures and FBARs After the IRS Settlement Initiative

Date: 12/1/2009

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Scott D. Michel discusses how taxpayers with undeclared offshore accounts can avoid criminal liability by making a "voluntary disclosure." Click on the pdf icon to read the full version of the article.

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