Welcome To Sherayzen Law Office, Ltd.!
Sherayzen Law Office, Ltd. is a US international tax law firm licensed to practice U.S. (federal), Minnesota, and international tax law, headquartered in Minneapolis, Minnesota
Sherayzen Law Office, Ltd. is a US international tax law firm licensed to practice U.S. (federal), Minnesota, and international tax law, headquartered in Minneapolis, Minnesota
We first came to know about FBAR around end of 2012 and found out that we had some accounts in our home country that should have been reported. Unfortunately, we did not have any knowledge of these accounts and they were opened by our parents when we were minors. It was a complicated and unpleasant situation, exacerbated by a myriad of conflicting information online. Read more…
The tax attorney services provided by Mr. Eugene Sherayzen were excellent. Years of paying too little attention to the complicated tax laws regarding foreign accounts, funds and companies lead to a complex situation. Mr. Sherayzen quickly understood the issues and found efficient solutions. I highly recommend Mr. Sherayzen and his law firm.
Mr. Sherayzen assisted us in resolving some tax issues related to foreign accounts. We are completely satisfied with the services he provided and would highly recommend him to anyone needing help in this area. Mr. Sherayzen is very knowledgeable and handled our case in a timely and professional manner. He is also a very nice person, who we believe genuinely cares about helping his clients.
The tax laws on foreign accounts are extraordinarily complex, particularly with regard to mutual funds. My wife and I have been extraordinarily impressed by the expertise and professionalism of Mr. Sherayzen. He found the very best way of approaching our own specific situation and handled everything in an extremely precise, thorough way. His totally above-board, scrupulously honest way… Read more…
Mr. Sherayzen is a subject-matter-expert who is very thorough in gathering complete information, and based on that, provides options and next steps related recommendations. Mr. Sherayzen is very intelligent and is analytical and rational in addressing the issue at hand. He exercises discipline, structure, and rigorous determination in his thinking. At the same time he has exhibited remarkable rational skills … Read more
My wife and I engaged the services of Eugene Sherayzen in 2009, feeling very apprehensive as we were by no means familiar with legal processes. He very quickly made us at ease with his friendly manner and also added to that ease with his professional expertise and obvious knowledge of the legal situation relative to our case. He scheduled our meetings to not only cover the steps necessary, but also… Read more
I retained Mr. Sherayzen’s legal services on a trademark case and was very impressed not only with his legal skills, but with his analytical and creative thinking skills. Mr. Sherayzen offered many different approaches and solutions and also took great precautions to ensure our case was a success. Read more…
The tax attorney services provided by Mr. Eugene Sherayzen were excellent. Years of paying too little attention to the complicated tax laws regarding foreign accounts, funds and companies lead to a complex situation. The legal advice and service Mr. Eugene Sherayzen provided to me was absolutely superb. Mr. Sherayzen is comprehensive in his background research, attentive to detail, diligent, and creative. Read more…
In a previous article, I discussed in detail the Substantial Presence Test and I mentioned that there are a number of exceptions to the Test. This means that, even though a person met the requirements of the substantial presence test, he can still avoid the resident alien status for US income tax purposes based on […]
As of the beginning of the year 2025, IRS Offshore Voluntary Disclosure continues to be the main way for noncompliant US taxpayers with undisclosed foreign assets and foreign income to bring themselves into full compliance with US international tax laws. This essay provides a broad overview of the available 2025 offshore voluntary disclosure options. 2025 […]
2025 FBAR Civil Penalties | FBAR International Tax Lawyer & Attorney
/in FBAR, FBAR Lawyers, Legal Notes /by ManagerThis article is an update of the prior articles on the FBAR Civil Penalties. Since the US Congress mandated the IRS to adjust FBAR civil penalties for inflation on an annual basis, this article discusses the year 2025 FBAR Civil Penalties. 2025 FBAR Civil Penalties: Overview of the FBAR Penalty System FinCEN Form 114, the Report of Foreign […]
West Virginia IRS Tax Relief: November 3 2025 Deadline | Tax Lawyer News
/in International Tax Attorney, Legal Notes /by ManagerOn March 14, 2025, the Internal Revenue Service announced a tax relief for individuals and businesses in parts of West Virginia affected by severe storms, straight-line winds, flooding, landslides and mudslides that began on February 15, 2025. On March 20, 2025, the tax relief expanded to four more counties. Let’s discuss this West Virginia IRS […]