ARTICLE
22 April 2015

Taxpayer Advocate Recommends Ways For IRS To Simplify Foreign Asset Reporting

B
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Recognized as one of the top firms for client service, BakerHostetler is a leading national law firm that helps clients around the world address their most complex and critical business and regulatory issues. With five core national practice groups — Business, Labor and Employment, Intellectual Property, Litigation, and Tax — the firm has more than 970 lawyers located in 14 offices coast to coast. BakerHostetler is widely regarded as having one of the country’s top 10 tax practices, a nationally recognized litigation practice, an award-winning data privacy practice and an industry-leading business practice. The firm is also recognized internationally for its groundbreaking work recovering more than $13 billion in the Madoff Recovery Initiative, representing the SIPA Trustee for the liquidation of Bernard L. Madoff Investment Securities LLC. Visit bakerlaw.com
The National Taxpayer Advocate made three specific recommendations to the IRS to try to simplify the process for reporting foreign assets.
United States Tax
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The National Taxpayer Advocate made three specific recommendations to the IRS to try to simplify the process for reporting foreign assets. For several years the National Taxpayer Advocate has complained that the disclosure requirements for FBAR (Report of Foreign Bank and Financial Accounts) and Form 8938 (Statement of Specified Foreign Financial Assets) are duplicative and excessive. Moreover, citing examples of foreign financial institutions closing out foreign accounts of U.S. citizens in response to FATCA (Foreign Account Tax Compliance Act), the National Taxpayer Advocate expressed concern about unintended consequences of new FATCA rules for foreign financial institutions, which were making it harder for U.S. taxpayers living abroad to open and maintain legitimate bank accounts overseas.

The National Taxpayer Advocate recommended that the IRS (1) eliminate duplicative reporting of assets on Form 8938 if the asset is already reported or reflected on a timely filed FBAR; (2) exclude from the definition of financial accounts subject to reporting by foreign financial institutions those accounts maintained by a financial institution organized under the laws of the country of which the U.S. person is a bona fide resident; and (3) exclude from the specified foreign financial assets required to be reported on the Form 8938 financial accounts maintained by a financial institution organized under the laws of the country of which the U.S. person is bona fide resident.

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ARTICLE
22 April 2015

Taxpayer Advocate Recommends Ways For IRS To Simplify Foreign Asset Reporting

United States Tax

Contributor

BakerHostetler logo
Recognized as one of the top firms for client service, BakerHostetler is a leading national law firm that helps clients around the world address their most complex and critical business and regulatory issues. With five core national practice groups — Business, Labor and Employment, Intellectual Property, Litigation, and Tax — the firm has more than 970 lawyers located in 14 offices coast to coast. BakerHostetler is widely regarded as having one of the country’s top 10 tax practices, a nationally recognized litigation practice, an award-winning data privacy practice and an industry-leading business practice. The firm is also recognized internationally for its groundbreaking work recovering more than $13 billion in the Madoff Recovery Initiative, representing the SIPA Trustee for the liquidation of Bernard L. Madoff Investment Securities LLC. Visit bakerlaw.com
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