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Missouri IRS Attorney

Dedicated to Assisting Missouri Taxpayers With Complex Offshore Account Disclosure Matters

The IRS attorneys at Thorn Law Group are committed to helping taxpayers in Missouri with complex foreign account matters, including offshore asset disclosure and reporting. Our goal is to help you avoid severe tax penalties associated with unreported offshore accounts and we will not hesitate to contest penalties that are unwarranted. Turn to our firm for assistance with Foreign Bank Account Reporting (FBAR), Foreign Account Tax Compliance Act (FATCA), IRS and DOJ criminal investigations, voluntary disclosure and other matters.

Are You a Foreign Account Holder? Your Assets May Already Be Under IRS Surveillance

The IRS has been examining foreign accounts increasingly. Anyone who has assets overseas and who is liable to file taxes in Missouri must disclose their assets if the aggregate total exceeds $10,000 at any point during a calendar year. Because the amount is based on aggregate value, it applies to the sum of all foreign accounts – not for each separate account. Failure to report these offshore accounts can cause taxpayers to incur various penalties, including exorbitant fees, or worse, civil and even criminal penalties.

The voluntary disclosure program, created back in 2009, was designed to help taxpayers with foreign accounts come forward with their offshore asset information of their own free will before the IRS initiates an investigation into their accounts. However, the voluntary disclosure program is not the right fit for every taxpayer, which is why consulting with an experienced IRS lawyer is a vital step to take before making a final decision.

Thorn Law Group is committed to helping offshore account holders choose the optimal plan of action for disclosing their foreign-held assets. Led by Managing Partner Kevin E. Thorn, a former attorney for the IRS and the United States Tax Court, Thorn Law Group has the experience, unique insight and skills required to ensure the most favorable outcome for a case is attained. We have already saved clients millions of dollars and serious IRS penalties, and we want to do the same for you. 

Turn to a Missouri IRS attorney at our firm for assistance with:

Contact a Missouri IRS Attorney to Explore Your Disclosure Options

At Thorn Law Group, we explore every feasible option to attain a swift and successful resolution for your foreign account disclosure matters. Contact Managing Partner Kevin E. Thorn today to schedule a consultation and discuss the optimal plan of action for your case.


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