FBAR Lawyers

Seattle FBAR Lawyer | IRS FATCA International Tax Attorney

I recently received a phone call from a person who was looking for a Seattle FBAR lawyer online and found my website. He asked me whether I can help him even though Sherayzen Law Office is based in Minneapolis, Minnesota. I responded to him: “yes, I can help you”.

This conversation brought to light an important topic of who should be considered a Seattle FBAR Lawyer and why an international tax lawyer based in Minneapolis can help a client in Seattle with FBAR issues.

Seattle FBAR Lawyer Definition: Legal FBAR Services Provided in Seattle, Washington

There are two categories of lawyers that fit the term Seattle FBAR Lawyer. The first category consists of US international tax lawyers who reside in Seattle and offer FBAR services to the residents of Seattle. The second category is comprised of US international tax lawyers who reside outside of Seattle but offer FBAR services to the residents of Seattle.

The first category is clear – if a lawyer resides in Seattle and offers FBAR services, he is considered to be a Seattle FBAR Lawyer. The question is: why is a lawyer who resides outside of Seattle still considered a Seattle FBAR lawyer? The answer lies in the legal nature of FBARs. FBAR is a federal information return, not a local requirement of Seattle or the State of Washington. This means that any licensed US international tax lawyer can offer FBAR services in any of the 50 states and the District of Columbia irrespective of his physical location. This is why a lawyer who resides in Minneapolis can offer FBAR legal services in Seattle with the same ease as a lawyer who resides in Seattle.

Seattle FBAR Lawyer Must Be US International Tax Lawyer

It should be emphasized that, while the residence of a Seattle FBAR Lawyer is not relevant, his area of practice is highly important. A Seattle FBAR lawyer must be an international tax lawyer – i.e. a lawyer who not only knows how to complete FBARS, but who has profound knowledge of US international tax law and the place the FBARs occupy in this law.

This emphasis is based on the fact that FBAR is only a small part of a much larger area of US international tax law. Indeed, there is a deep and complex relationship between the FBAR and international tax law that determines the legal position of a client and the potential voluntary disclosure strategies associated with delinquent FBARs.

This is why your Seattle FBAR lawyer should have deep knowledge of and extensive experience in both FBARs and all related US international tax laws and regulations.

Sherayzen Law Office Can Be Your Seattle FBAR Lawyer

Sherayzen Law Office is an international tax law firm that specializes in FBARs and international tax law. Our legal and accounting team has both: a profound knowledge of this area of law and extensive experience in helping clients with international tax law issues, including offshore voluntary compliance with respect to delinquent FBARs. We have helped hundreds of US taxpayers worldwide with their FBAR issues and we can help You!

Contact Sherayzen Law Office today to schedule Your Confidential Consultation!

Milwaukee FBAR Lawyer | IRS FATCA Tax Attorney

Who is considered to be a Milwaukee FBAR Lawyer? This is a question that is important to all residents of Milwaukee, Wisconsin. Let me try to answer this question.

Milwaukee FBAR Lawyer Definition: Legal FBAR Services Provided in Milwaukee, Wisconsin

The term Milwaukee FBAR Lawyer includes two broad categories of international tax lawyers. The first category consists of lawyers who reside in Milwaukee and offer FBAR services to the residents of Milwaukee. The second category is comprised of lawyers who reside outside of Milwaukee but offer FBAR services to the residents of Milwaukee.

The first category is self-explanatory, but the second category requires a bit more explanation of one issue: why is an FBAR lawyer who resides outside of Milwaukee still considered a Milwaukee FBAR lawyer? The answer is relatively simple – FBAR is a federal compliance requirement and any licensed US international tax lawyer can practice it in any of the 50 states and the District of Columbia irrespective of his physical location. Local Milwaukee law and even Wisconsin law have nothing to do with FBARs.

A Milwaukee FBAR Lawyer Must be an International Tax Lawyer

I mentioned above that both categories of the definition of a Milwaukee FBAR Lawyer must consist of only international tax lawyers. I wish to emphasize this point – not any lawyer should advise with respect to FBARs, only US international tax lawyers.

This emphasis on knowledge of the US international tax law is not incidental; it is based on the fact that FBAR is merely a part of a much bigger US international tax law. These concepts are so deeply interrelated that it would be nonsensical to advise a client on his legal position just on the FBARs without the related US international tax law issues or the US international tax law without the FBARs.

This is why your Milwaukee FBAR lawyer should have a profound knowledge of and experience in both FBARs and all related US international tax laws and regulations.

Sherayzen Law Office is a Premier International Firm Well-Positioned to be Your Milwaukee FBAR Lawyer

Sherayzen Law Office is the perfect candidate to be Your Milwaukee FBAR Lawyer. Not only does its team has a profound knowledge of FBARs and US international tax law, but its professional legal team is also highly experienced in dealing with these issues, including all Offshore Voluntary Compliance programs related to delinquent FBARs. We have helped hundreds of US taxpayers worldwide with their FBAR issues and we can help You!

Contact Sherayzen Law Office today to schedule Your Confidential Consultation!

Omaha FBAR Attorney | OVDP IRS International Tax Lawyer

As the headquarters of Berkshire Hathaway, Omaha (Nebraska) draws a large number of foreign-born professionals. A high percentage of these professionals still have foreign accounts overseas and they are in great needs of assistance from an Omaha FBAR attorney. Oftentimes, they cannot find an attorney they like in Omaha (especially, since this is not a very large city with a lot of international tax attorneys) and they not sure they can use the help of out-of-state FBAR attorneys who offer their services in Omaha. This essay is meant to help these persons by defining the term Omaha FBAR Attorney.

Omaha FBAR Attorney: What is FBAR

The Report of Foreign Bank and Financial Accounts (“FBAR”) is probably the most important information return with respect to disclosure of foreign accounts by US tax residents. Its importance stems from the low filing threshold and very high civil and criminal penalties.

As of the calendar year 2016, under the Bank Secrecy Act (“BSA”) §5314 and in accordance with the FinCEN regulations, the FBAR must be filed by a US person who has a financial interest in or signatory authority over one or more foreign financial accounts with an aggregate value greater than $10,000 at any time during the calendar year. See 31 U.S.C. §5314; 31 C.F.R. §1010.350; 31 C.F.R. §1010.306(c).

Thus, there are five requirements that must be satisfied in order for the FBAR filing requirement to arise. First, the filer must be a US person. Second, this US person had a bank or financial account (or accounts) during the calendar year in question. Third, this foreign bank or financial account must be foreign – i.e. in the foreign country. Fourth, during the calendar year, the US person had a financial interest in the account or signature or other authority over the financial account. Finally, the fifth requirement is that the aggregate value of the account or accounts (converted to US dollars) exceeded $10,000 at any point during the calendar year.

All five of these requirements contain important terms (such as “US person”, “financial account” and “financial interest”) which have very specific definitions; so, one must be very careful before making any assumptions about the applicability of FBARs to his situation (in fact, this is really the job for FBAR attorney). The definition of “financial account” is especially fraught with danger and may include anything from a normal investment account to a gold bar stored under the custody of a foreign bank. Please, see other relevant articles on sherayzenlaw.com for more details.

Omaha FBAR Attorney: Definition

Armed with this understanding of FBARs, we can now turn to the main subject of this article – who is considered to be an Omaha FBAR Attorney. There are two aspects to this concept: geographical and substantive.

From the outset, it should be stated that the geographical location of an attorney does not matter. An attorney can reside in Omaha, Nebraska or Minneapolis, Minnesota and still be considered an Omaha FBAR Attorney if this attorney offers his services in this city.

The reason for this geographical indifference lies in the fact that FBAR is a purely federal compliance requirement; it has no particular ties to Omaha or any other specific city or state (or a foreign country, for that matter). As long as a person is a US tax resident and he has foreign accounts, he is potentially subject to FBAR requirement even if he physically resides outside of the United States. Since FBAR is a uniform requirement that does not respect borders and jurisdictions, the same is almost true of the FBAR attorneys, except that an attorney must be licensed to practice in any of the fifty states or Washington D.C. and FBAR must be within the realm of his main area of practice.

The substantive requirement that forms part of the definition of an Omaha FBAR attorney is related to what I just mentioned – FBAR must be within the realm of the main area of an attorney’s legal practice in order for this attorney to be considered an Omaha FBAR attorney.

What is this main area of practice? US international tax law – an Omaha FBAR attorney must be an international tax attorney, because FBAR compliance is part of the much broader US international tax law.

Retain Sherayzen Law Office as Your Omaha FBAR Attorney

If have undisclosed foreign accounts or if you need assistance with your annual FBAR compliance, you should contact Sherayzen Law Office for professional help. Sherayzen Law Office is a leading international tax law firm in the area of FBAR compliance. Our highly-experienced international tax team, headed by its founder Attorney Eugene Sherayzen, has helped hundreds of US taxpayers around the globe with their FBAR compliance and other international tax issues (including offshore voluntary disclosures under the OVDP, Streamlined Domestic Offshore Procedures, Streamlined Foreign Offshore Procedures, Delinquent FBAR Submission Procedures, Delinquent International Information Return Submission Procedures and Reasonable Cause Disclosures (also known as “noisy disclosures”)).

This is why, if you are looking for a Omaha FBAR Attorney, please contact Sherayzen Law Office, Ltd. today to schedule Your Confidential Consultation!

Houston FBAR Lawyer | OVDP FATCA Tax Attorney

The main thesis of this essay is that the designation of a Houston FBAR Lawyer should be applied based on the geography of services of an FBAR lawyer rather the physical location of a lawyer.

Houston FBAR Lawyer Definition: Legal FBAR Services Provided in Houston, Texas

The old designation where a Houston FBAR Lawyer designation was limited only to lawyers who reside in Houston was incorrect from the very beginning for two reasons.

First, it was based basically on the premise that an out-of-state lawyer cannot effectively provide any legal services to a client who resides in Houston, Texas. Perhaps, to a certain degree, this premise could have been applicable to the time when there were no telephones, emails or other forms of modern communication. However, since the appearance of telephone and Internet-based communications, a modern lawyer can provide services efficiently and effectively at almost any point around the globe as long as he is licensed to do so. Even the face-to-face meetings can now be replaced with video conferences over the Internet (for example, video Skype conferences).

Second, some credence should be given to this old designation in situation where the subject matter is based on local Texas law or required appearance in a Texas court. In these situations, a local attorney indeed appears to have an advantage over an out-of-state attorney (although, even this advantage may be nullified if this is a one-time court appearance or the out-of-state attorney is actually licensed to practice in the State of Texas).

However, a Houston FBAR lawyer deals strictly with just federal subject-matter, because FBAR is a federal law and any US international tax lawyer can practice it irrespective of his physical location as long as this attorney is licensed to practice law in any of the 50 states or District of Columbia. This means that, as long as an international tax lawyer offers his legal FBAR services in Houston, he should be considered a Houston FBAR lawyer even if he resides in Minneapolis.

Houston FBAR Lawyer’s Knowledge of US International Tax Law is the Key Factor

While the physical location of a lawyer is not important in determining whether he is a Houston FBAR lawyer, it is necessary that this lawyer be an international tax lawyer experienced in FBAR issues.

This emphasis on competence in US international tax law is based on the fact that FBAR is just a part of a much bigger area of US international tax law. In fact, the FBAR and international tax law are so completely interrelated this interaction between FBAR and other international tax issues is crucial to determining a taxpayer’s legal position. This is why your Houston FBAR lawyer should have a profound understanding of both FBARs and all other relevant US international tax compliance requirements.

Sherayzen Law Office Should Be Your Houston FBAR Lawyer

Sherayzen Law Office is a highly experienced international tax law firm with profound knowledge of FBARs and all other relevant US international tax compliance requirements. Our team consists of highly-experienced international tax professionals headed by the founder of the firm, attorney Eugene Sherayzen. We have helped hundreds of US taxpayers worldwide with their FBAR issues and we can help you!

This is why, if you are looking for a Houston FBAR lawyer, you should contact Sherayzen Law Office, Ltd. today to schedule Your Confidential Consultation!

Boulder FBAR Lawyer | Offshore Accounts Tax Attorney

The definition of a Boulder FBAR Lawyer is much broader than many people believe. In this brief essay, I would like to explain who is considered to be a Boulder FBAR Lawyer and why you should retain the services of Sherayzen Law Office, Ltd. for professional help with your FBAR issues.

Boulder FBAR Lawyer Definition: Legal FBAR Services Provided in Boulder, Colorado

Obviously, the definition of a Boulder FBAR lawyer includes all FBAR lawyers who are physically located in Boulder, Colorado, and offer services there. However, this definition also includes every international tax lawyer who offers FBAR services in Boulder, Colorado,

This is the case because FBAR is a creation of federal law, not state law. This means that, irrespective of his physical location, an international tax lawyer can provide his FBAR services in Boulder as long as he is licensed to practice law in any of the 50 states or District of Columbia. What is really important is the competence and experience of an international tax lawyer, not his residence in Boulder.

Boulder FBAR Lawyer’s Knowledge of US International Tax Law is the Key Factor

Indeed, the competence of a lawyer should be the key factor in retaining the services of a Boulder FBAR lawyer. The level of competence of an FBAR lawyer depends on his knowledge of and the experience in US international tax law in general and FBARs specifically.

Why this emphasis not just on FBARs, but competence in US international tax law? First, FBAR forms just a part of a much bigger area of US international tax law. Second, in almost all cases, the FBAR issues are related to and often depend on other international tax compliance requirements (e.g. foreign income determination). In fact, the interaction between FBAR and other international tax issues is a major factor that determines a taxpayer’s legal position. This is why your Boulder FBAR lawyer should have a profound understanding of both FBARs and US international tax law in general.

Boulder FBAR Lawyer: Out-of-State Ability to Communicate is Not a Problem

Some readers may wonder why I emphasize the competence as a key factor in retainer of a Boulder FBAR lawyer and ignore the ease-of-communication considerations. It seems that some persons still cling to an obsolete belief that it would be more convenient to communicate with a local Boulder FBAR lawyer rather than an out-of-state one.

This is a flawed belief that I have been battling for a long time now. There are two reasons for why the communications factor no longer depends on the actual residence of your Boulder FBAR lawyer. First of all, the development of modern means of communications completely resolved the communications issues of the earlier centuries. Email, Video Skype Conferences, telephone and text messages make your out-of-state Boulder FBAR lawyer as equally accessible as your local Boulder FBAR lawyer.

Second, in reality, almost the entire course of communication between you and your local lawyer is going to be exactly the same as it would be between you and your out-of-state lawyer – i.e. email, telephone and even regular mail. Your local Boulder FBAR lawyer simply would not have the time to meet with you every time he needs to communicate something to you. Moreover, given the large amount of issues that often arise with respect to FBARs, personal meetings on every issue would simply make the case too expensive and inconvenient.

There is one additional point that is worth making here. While the geography of your Boulder FBAR lawyer does not matter, it is important that the lawyer is accessible to you and you can communicate with him on the progress of the case. However, this is a retainer factor that is highly personal to each lawyer.

In my case, my clients have no problems communicating with me; most of the time I will be able to respond before the end of the day and, often, immediately.

Sherayzen Law Office is Your Preferred Choice for Your Boulder FBAR Lawyer

Sherayzen Law Office is a highly experienced international tax law firm with profound knowledge of FBARs. We have been helping our clients worldwide with their FBAR issues for a very long time; in fact, we are one of the few firms which advised clients with respect to all major IRS voluntary disclosure programs, including 2009 OVDP, 2011 OVDI, 2012 OVDP, 2014 OVDP and Streamlined Procedures (Domestic and Foreign). We can help you!

This is why, if you are looking for a Boulder FBAR lawyer, you should contact Sherayzen Law Office, Ltd. today to schedule Your Confidential Consultation!