Faced with a wave of fraudulent claims, the Internal Revenue Service (IRS) has ordered an immediate stop to the processing of all claims for the federal Employee Retention Credit (ERC). As a pandemic-era economic relief program, the ERC was only available for the 2020 and 2021 tax years, but until recently, eligible businesses that did not claim the ERC during these tax years could do so retroactively.
Read MoreOffshore Account UpdatePosted on October 17, 2023
The Internal Revenue Service (IRS) and the U.S. Department of Justice (DOJ) are targeting taxpayers and promoters for the use of abusive trusts. The IRS identified various types of abusive trust schemes on its 2023 “Dirty Dozen” list, and the DOJ recently announced the indictments of two individuals who are charged with “instruct[ing]clients to assign their income to a series of sham trusts to make it appear as if the income was no longer owned or controlled by the client.”
Read MoreOffshore Account UpdatePosted on September 29, 2023
The Internal Revenue Service (IRS) and other federal agencies are continuing to target COVID-19 pandemic fraud in 2023. This includes primarily (though not exclusively) fraud under the Paycheck Protection Program (PPP) and Employee Retention Credit (ERC) program. As Boston tax lawyer Kevin E. Thorn, Managing Partner of Thorn Law Group, explains, allegations in these cases can take a variety of forms—and they can expose targets to civil or criminal prosecution depending on the circumstances involved.
Read MoreOffshore Account UpdatePosted on September 15, 2023
The Internal Revenue Service (IRS) is cracking down on U.S. taxpayers who move to Puerto Rico—and who move their businesses to Puerto Rico—in order to avoid federal tax liability. While Puerto Rico Act 60 (formerly Acts 20 and 22) allows individuals and businesses that reside in the U.S. territory to achieve substantial tax savings, the IRS is focusing on individuals and businesses that claim the benefits of Puerto Rico Act 60 without meeting the law’s requirements.
Read MoreHot TopicsPosted on September 1, 2023
The United States Supreme Court has ruled on the side of U.S. taxpayers in Foreign Bank Account Reporting (FBAR) situations. This pivotal ruling not only identifies the importance of accurate and timely FBAR reporting but also highlights the need for expert legal representation when dealing with an offshore account.
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