Offshore Voluntary Disclosure Must Be Timely | International Tax Lawyers Portland Oregon

Hello and welcome to Sherayzen Law Office video blog. My name is Eugene Sherayzen and I’m an international tax attorney and owner of Sherayzen Law Office, Ltd.

Today, I’m continuing a series of blogs from Oregon – Portland. Now, you can see a train leaving behind me and this kind of reminds me of an important issue: to make sure that you’re able to do your voluntary disclosure. You have to make sure that you make this train; that is, that you do your voluntary disclosure timely. If you try to do a voluntary disclosure after an IRS agent already started an investigation into your case, then you won’t be able to do a voluntary disclosure; that train has left. What you need to do is to make sure that as soon as you learn about your noncompliance with US tax laws, that you would come to me to discuss your voluntary disclosure options as soon as possible.

Thank you for watching, until the next time.

Summary
Offshore Voluntary Disclosure Must Be Timely | International Tax Lawyers Portland Oregon
Article Name
Offshore Voluntary Disclosure Must Be Timely | International Tax Lawyers Portland Oregon
Description
In this vlog, Mr. Sherayzen, an international tax lawyer and owner of Sherayzen Law Office, Ltd., discusses a case from his practice: Streamlined Domestic Offshore Procedures case concerning Japanese foreign inheritance and a Japanese corporation. This vlog is part of a series of vlogs Mr. Sherayzen made in Portland, Oregon.
Author
Publisher Name
Sherayzen Law Office, Ltd.
Publisher Logo