Sophisticated National and International Tax Law Practice
Thorn Law Group offers comprehensive tax counsel and legal representation to individuals and businesses across the United States and around the globe. Our attorneys have more than 30 years of collective experience advocating for clients involved in serious tax disputes. We are a dedicated team of tax law professionals who work together to help our clients get the tax relief they need to resolve their disputes and move forward with their lives.
At Thorn Law Group our tax attorneys focus on developing solutions for our clients. We understand the stakes are high and we aim to resolve our clients’ tax issues as quickly and as favorably as possible. Our lawyers have worked as trial attorneys with the Internal Revenue Service and served as law clerks with the United States Tax Court prior to entering private practice. We have an inside understanding of how the IRS and other government authorities operate and we put this knowledge to use for clients involved in complex tax law controversies.
With offices in Washington D.C., Boston and the New York/New Jersey region, our firm is well-positioned to successfully handle all types of sophisticated national and international tax law cases. We have particular experience representing clients in tax matters involving unreported foreign bank accounts and assets. Our voluntary disclosure lawyers understand the complicated reporting rules and requirements that govern offshore account and assets. We are also well aware of the severe civil and criminal penalties taxpayers can face when they fail to properly report their foreign assets and income to the federal government.
Our attorneys have helped hundreds of clients in the U.S. and around the world take advantage of tax amnesty and voluntary disclosure programs. We have worked side by side with these clients to identify the best strategies and options available to bring their offshore accounts and assets into full compliance with U.S. laws and regulations. While our firm handles a full range of civil and criminal tax law matters, our key areas of focus include:
2016 Update for Voluntary Disclosure
The IRS recently announced important changes to its offshore voluntary disclosure program. These 2014 changes are desi...
Offshore Voluntary Disclosure
The IRS experienced tremendous success through both the 2009 IRS Voluntary Disclosure Program and the 2011 Amnesty Progr...
Foreign Account Tax Compliance Act (FATCA)
Taxpayers holding foreign financial assets are required to report information about those assets to the federal governme...
Foreign Bank Account Reporting (FBAR)
Taxpayers with direct or indirect interests in offshore bank account must file the Report of Foreign Bank and Financial ...
IRS and DOJ Criminal Investigation
Tax fraud and other financial crimes are investigated and prosecuted by the IRS Criminal Investigation Division and the ...
Undisclosed Offshore Accounts Law
The legal team at Thorn Law Group works with clients to reduce the risk of civil and criminal exposure associated with u...
If you want to learn more about the national and international tax law services provided at Thorn Law Group, or would like to discuss an offshore account, IRS voluntary disclosure or other tax law matter contact Kevin E. Thorn, Managing Partner of Thorn Law Group:
Washington D.C. Office:
New Jersey Office: