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Showing posts with label UBS. Show all posts
Showing posts with label UBS. Show all posts

Thursday, July 19, 2012

Will Mittens withdraw for the race?

Mittens dithering over releasing his taxes has already affected his Intrade chances, but the Gallup numbers are unchanged with Obama having a 2 point national advantage.

Nate Silver shows Obama with a 298 to 240 electoral advantage. A candidate needs 271 to win,

The Huffington Post posits a 274 to 191 advantage.

Will Mittens resign?  Rightardia thinks it is a distinct possibility.

We suspect Romney may be involved in the UBS tax evasion scandal that the IRS has been quietly allowing violators to settle after paying huge financial penalties.

Mittens probably realized by now that he is unlikely to win this election. He my decide to cut his loses and throw in the towel.


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Monday, October 24, 2011

Swiss banks to settle on tax evasion scam


Oct. 24 Bloomberg -- Swiss banks will likely settle a sweeping U.S. probe of offshore tax evasion by paying billions of dollars and handing over names of thousands of Americans who have secret accounts, according to two people familiar with the matter. Erik Schatzker reports on Bloomberg Television's "InsideTrack." 

This scandal broke a couple of years ago when the US government uncovered a UBS banks tax evasion scam that was operated by Swiss bankers with encrypted laptops who traveled to the US periodically.  UBS revealed some of the names of the US nationals involved in the tax evasion scheme, but news articles suggested that the tax scams involved 50,000 to 60,000 Americans.

Tax evasion is a serious offense with a 10-year sentence. IRS will probably give offenders an opportunity to settle as they did when the first bank list of tax evaders came out. Banks in other countries such as Lichtenstein were also involved in the scandal.

Source: Bloomberg

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Monday, January 17, 2011

Huffington Post: Wikileaks gets bank account info of the rich and famous

Rudolf Elmer

LONDON, Jan 17--A former Swiss banker handed over data on hundreds of offshore bank accounts  to WikiLeaks founder Julian Assange at a news conference.

Rudolf Elmer once headed the Julius Baer bank in the Cayman Islands until he was fired by the bank in 2002.

He is scheduled to go on trial in Switzerland for stealing bank secrets.

Elmer handed Assange two CDs at a news conference at a media club in London.

The two yellow and blue discs contain information on 2,000 banking clients who may have offshore bank accounts to evade taxes.

Julian Assange said:

He (Elmer) is clearly a bona fide whistleblower... We have some kind of duty to support him in that matter.



Sunday, January 16, 2011

Huffington Post: Swiss whistleblower Rudolf Elmer plans to hand over offshore banking secrets of the rich and famous


“Well-known pillars of society . . . hold investment portfolios and may include houses, trading companies, artwork, yachts, jewellery, horses, and so on.”

The offshore bank account details of 2,000 millionaires, billionaires and corporations suggesting massive potential tax evasion will be given to the WikiLeaks organisation in London tomorrow. Rudolf Elmer, the biggest whistleblower in Swiss banking history, will do this two days before he goes on trial in  Switzerland.

British and American individuals and companies are some of the offshore clients whose details will be contained on CDs presented to WikiLeaks at the Frontline Club in London. Those involved  Elmer tells the Observer, "approximately 40 politicians".

Elmer, who after his press conference will return to Switzerland from exile in Mauritius to face trial, is a former chief operating officer in the Cayman Islands and employee of the powerful Swiss Julius Baer bank. The bank says he stole the information.

See the complete article: http://www.guardian.co.uk/media/2011/jan/16/swiss-whistleblower-rudolf-elmer-banks?cat=media&type=article

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Saturday, January 15, 2011

Dangerous Intersection: Welcome back to the US; Give me your laptop and your passwords

Erich Vieth | January 15, 2011

Glenn Greenwald has written about the federal government’s common practice of seizing laptops and smart phones of American citizens who are re-entering the United States. 

A FOIA request from the ACLU since October 1, 2008, more than 6,600 people — roughly half of whom are American citizens — were subjected to electronic device searches at the border by DHS, all without a search warrant.

Erich Veith is an  attorney and knows the law, but since the traveller is entering the US and is not technically in the US, DHS may be able to get away with this.

Of course, UBS bank officials were entering the US with laptops that had encrypted data on them to hide incriminating data in an international tax scam.

We hope the government is looking at the data of bankers and the affluent, not just political activists.

source: http://dangerousintersection.org/2011/01/15/welcome-to-the-united-states-give-me-your-laptop-and-your-passwords/

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Thursday, January 7, 2010

60 Minutes: A Crack In The Swiss Vault


Watch CBS News Videos Online
January 3, 2010 5:30 PM

Switzerland's largest bank has given authorities formerly sacrosanct info on its U.S. customers because of tips provided by a whistleblower, who tells Steve Kroft the secrets Swiss bankers never tell.

Rightardia has been following the UBS tax evasion marketing scheme for several months. Bradley Birkenfeld is a central player on unmasking this scheme that has been going on for decades. The video is 13 minutes long but is worth watching. 

Nearly 15,000 Americans are settling with the IRS because of the UBS tax evasion and similar schemes with other European banks. 


You can be sure that the majority of the tax evaders were card carrying conservatives, the same people the GOP thinks needs big Income Tax breaks.

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Tuesday, November 17, 2009

HuffPo: Offshore Bank Accounts Revealed To IRS By 14,700 Taxpayers

First Posted: 11-17-09 03:39 PM | Updated: 11-17-09 07:22 PM

MIAMI (AP)-- More than 14,700U.S. taxpayers came disclosed billions in offshore bank accounts in 70 countries under a voluntary Internal Revenue Service program allowing most to avoid criminal prosecution as long as they pay what they owe, IRS officials said Tuesday.
A flood of people came forward in the last days before the amnesty program expired Oct. 15, IRS Commissioner Doug Shulman said. The final total far surpasses the number who disclose offshore accounts in a typical year -- about 100 -- and comes amid a broad U.S. crackdown on international tax evasion at Swiss bank UBS AG and other institutions.

"To put it simply, this is a historic milestone for the nation's hardworking taxpayers," Shulman said in a conference call from Washington.

The total in taxes, interest and penalties collected from those in the voluntary disclosure program will be in the "billions of dollars," Shulman said. The disclosures involved accounts on every continent but Antarctica.

Taxpayers flocked to the amnesty program after the U.S. reached an agreement in August with the Swiss government and UBS to obtain names of 4,450 U.S. taxpayers believed to be hiding assets in secret bank accounts. Earlier this year, UBS paid a $780 million penalty under a deferred prosecution agreement filed in a Florida federal court that included disclosure of an additional 150 names.

Seven of those people have been charged criminally, with at least two getting sentenced to prison time.

Shulman said the combination of the UBS disclosures and the amnesty program have fundamentally changed the offshore tax landscape, particularly in Switzerland where bank secrecy was the tradition for centuries.

"It shows we are serious about piercing the veil of bank secrecy," he said. "The whole game has changed."
Story continues below

Also Tuesday, the IRS and Swiss unveiled the criteria being used to determine which American UBS accounts will be disclosed under the August agreement.

Accounts being targeted include those that contained 1 million or more Swiss francs at any time between 2001 and 2008; instances in which there was clear fraudulent actions, such as false documents; and accounts that earned an average of 100,000 francs a year for at least three years.

The equivalent amounts in U.S. dollars vary widely depending on the year, as the dollar lost over a third of its value against the Swiss franc during that period. One million francs was worth about $600,000 in 2001, compared with about $900,000 seven years later.

U.S. Sen. Carl Levin, who chairs Senate Permanent Subcommittee on Investigations, called the criteria "disappointing" because it means some of Switzerland's bank secrecy will remain intact.

source: http://www.huffingtonpost.com/2009/11/17/offshore-bank-accounts-re_n_361136.html

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Sunday, October 18, 2009

UBS uses registered mail warns U.S. clients on tax evasion

GENEVA - Swiss bank UBS AG warned U.S. customers by registered mail their account details may be provided to U.S. tax authorities. The mailing could breach secrecy laws, a Swiss paper said on Sunday.



The use of registered mail and envelopes showing the sender was UBS could enable the U.S. authorities to trace customers wanted for tax evasion.  US authorites could get this information well before the details are handed over under a U.S.-Swiss double taxation agreement according to the Swiss Sonntag weekly paper.

Switzerland and the United States settled a row over evasion of U.S. taxes in August when Switzerland agreed to hand over details of nearly 5,000 U.S. accounts at UBS.

But it could take into early 2010 before the first names are handed over under the agreed legal procedures.

Some 7,500 Americans voluntarily disclosed information about hidden overseas assets under a tax amnesty program that expired on October 15.

UBS had agreed in February to pay $780 million to settle a criminal investigation accusing it of helping American clients evade taxes. At the same it agreed to release the names of about 250 clients in a first breach of Switzerland's banking secrecy.

Rightardia has published posted several reports about the tax scam.  Our staff believes that tax evasion is a crime and also unpatriotic. Most of the tax evaders are conservatives who are more interested in money than making America a better country. 

source: http://www.reuters.com/article/topNews/idUSTRE59H18K20091018

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Saturday, October 17, 2009

Politics Daily: Honey, I Found Our Hidden Swiss Bank Account

by Joann M. Weiner


As part of a voluntary program that ended on October 15, some 7,500 Americans with hidden offshore bank accounts ended the game of hide and seek with the IRS. They told the government where to find their assets. Some of these hidden accounts were pretty hard to lose track. One had more than $100 million in it.
.
The IRS had given these suspected tax evaders plenty of time to fess up. The agency opened a generous amnesty program in March and extended it in September. By voluntarily reporting the account, the taxpayers will still be subject to stiff penalties, but they may avoid  jail.

Any American who has an offshore bank account with more than $10,000 in it must report that account and pay taxes on the income earned on it. Failure to come forward is a high-stakes gamble. Those who decide to take their chances risk losing the entire account through penalties and interest. There is also a possible jail sentence.

IRS Commissioner Douglas Shulman has made no doubt about his intent to punish tax evaders and their banking enablers. Shulman said the IRS would be "scouring the 7,500 disclosures to identify financial institutions, advisers and others" who broke the law.

The IRS commissioner seems serious about going after secret bank accounts. As he said in August when announcing an agreement with the Swiss to share banking account information, "this is no mere keyhole into the hidden world of bank secrecy. This agreement represents a major step forward with the IRS' efforts to pierce bank secrecy and combat offshore tax evasion. It's an historic development in our international efforts, and it helps build a solid foundation for addressing future offshore issues."

The IRS plans to hire 800 agents and open or expand offices in places like Hong Kong, Beijing, Panama City and Barbados to help investigate these offshore accounts.

See the complete story at http://www.politicsdaily.com/2009/10/17/honey-i-found-our-hidden-swiss-bank-account/

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Sunday, August 23, 2009

Former UBS Banker Sentenced to 40 Months for Aiding Billionaire American Evade Taxes

Friday, August 21, 2009
WWW.USDOJ.GOV
TAX
(202) 514-2007
TDD (202) 514-1888

Former UBS Banker Sentenced to 40 Months for Aiding Billionaire American Evade Taxes

MIAMI – Former UBS banker, Bradley Birkenfeld of Weymouth, Mass., has been sentenced to 40 months incarceration by Judge William J. Zloch in Fort Lauderdale, Fla. On June 19, 2008, Birkenfeld pleaded guilty to conspiring to defraud the United States, the Justice Department announced today.
Bradley Birkenfeld is in the foreground

According to court documents and statements made in court today, Birkenfeld worked as a private banker in Geneva, Switzerland, for UBS AG, one of the country’s largest banks.
While at UBS, Birkenfeld assisted an American billionaire real estate developer evade paying $7.2 million in taxes by assisting the developer conceal $200 million of assets hidden offshore in Switzerland and Liechtenstein.
While at UBS, Birkenfeld routinely traveled to and had contacts within the United States in an effort to assist wealthy Americans conceal their ownership in assets held offshore and therefore evade the payment of taxes on the income generated on the money hidden offshore.

In order to assist wealthy Americans who concealed assets at UBS in Switzerland, Birkenfeld admitted that he and others advised
  1. U.S. clients to place cash and valuables in Swiss safety deposit boxes
  2. purchase jewels, artwork and luxury items using the funds in their Swiss bank account while overseas
  3. misrepresent the receipt of funds from the Swiss bank account in the United States as loans from the Swiss bank
  4. destroy all off-shore banking records existing in the United States
  5. utilize Swiss bank credit cards that they claimed could not be discovered by United States authorities 
  6. file false U.S. individual income tax returns that omitted income earned by their clients and fraudulently misrepresented that their clients did not have an interest in and signature authority over accounts held offshore.
In February 2009, UBS entered into a deferred prosecution agreement and the bank admitted to helping U.S. taxpayers hide accounts from the Internal Revenue Service (IRS).
As part of their agreement, UBS provided the United States government with the identities of, and account information for, certain United States customers of UBS’s cross-border business. The deferred prosecution agreement paragraph 13 stated that the United States would be seeking enforcement of a civil "John Doe" summons seeking records for United States persons who maintained accounts with UBS in Switzerland.
On Aug. 19, 2009, the civil matter was resolved and UBS agreed to produce the identities and account information of 4,450 additional UBS customers who are believed to have violated United States law.

"To those taxpayers who have illegally hidden their income in foreign bank accounts and to those who have illegally helped clients hide income and assets, today's sentencing serves as notice: come in and completely come clean," said John A. DiCicco, Acting Assistant Attorney General of the Justice Department’s Tax Division.
"A failure or delay in doing so until after the Government has discovered the wrongdoing, even if there is then cooperation, has serious consequences."
"Those who have stashed money offshore should not take comfort in the fact that the UBS investigation seems to have reached criminal and civil resolutions," said Jeffrey H. Sloman, Acting U.S. Attorney for the Southern District of Florida.
"New leads and additional evidence are being uncovered each day. We are committed to pursuing these new leads and to developing additional cases against those who assist Americans evade their income tax obligations."

Acting Assistant Attorney General John DiCicco and Acting U.S. Attorney Jeffrey H. Sloman commended the investigative efforts of the IRS agents involved in this case.
The prosecution is being handled by Senior Litigation Counsel Kevin M. Downing and Trial Attorney Michael P. Ben’Ary of the Tax Division, and Assistant U.S. Attorney Jeffrey A. Neiman.

"Mr. Birkenfeld admitted his role in advising wealthy U.S. clients to take various actions to conceal their assets at UBS in Switzerland from the US Government," said Eileen Mayer, Chief, IRS Criminal Investigation.
"Today, he is paying the price for that role. Clients as well as promoters of international tax fraud are under the watchful scrutiny of the IRS. For anyone with hidden offshore assets, the IRS wants to send a clear message. There is still time – although the clock is ticking - to come in and get right with the government."

United States citizens who have an interest in, or signature or other authority over, a financial account in a foreign country with assets in excess of $10,000 are required to disclose the existence of such account on Schedule B, Part III of their individual income tax return.

Additionally, American citizens must file a Report of Foreign Bank and Financial Accounts (FBAR) with the U.S. Treasury, disclosing any financial account in a foreign country with assets in excess of $10,000 for which they have a financial interest in or signature authority, or other authority over.

More information about the Justice Department’s Tax Division and its enforcement efforts is available at http://www.usdoj.gov/tax/.

A copy of this press release may be found on the Web site of the U.S. Attorney’s Office for the Southern District of Florida at www.usdoj.gov/usao/fls.
Related court documents and information may be found on the website of the U.S. District Court for the Southern District of Florida at www.flsd.uscourts.gov or http://pacer.flsd.uscourts.gov.

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Friday, August 21, 2009

Ex-UBS Banker Birkenfeld Gets 40 Months

Rightardia comment:  You can bet that some high level politics were involved in this case. Only 10 per cent of the UBS tax evaders were identified and UBS can still operate in the US. Bradley Birkenfeld will probably spend 40 months in one of those boy scout camps for 'non violent offenders' even though he did a tremendous amount of damage to the US economy.

Aug. 21 (Bloomberg) -- Former UBS AG banker Bradley Birkenfeld was sentenced to 40 months in prison for helping wealthy Americans evade taxes. Birkenfeld, 44, played a key role in showing prosecutors and U.S. Senate investigators how Zurich-based UBS helped Americans hide as much as $20 billion in assets.

“I’d like to express my regret for my actions,” Birkenfeld, who pleaded guilty last year, told U.S. District Judge William Zloch today in Fort Lauderdale, Florida.

The sentence was 10 months longer than prosecutors requested in court papers citing his “substantial assistance” in the investigation of UBS. Birkenfeld argued in a filing that he deserved probation, not prison.  The judge didn’t explain his reasons for the sentence.

UBS agreed on Aug. 19 to hand over account information on 4,450 [of 52,000] accounts to the U.S. Internal Revenue Service. The bank on Feb. 18 said it would pay $780 million to avoid prosecution.

Birkenfeld and Liechtenstein investment adviser Mario Staggl were charged in April 2008 with helping California billionaire Igor Olenicoff and others evade taxes. Staggl is a fugitive.

February Settlement 

UBS’s February settlement and prosecutors’ efforts to wrest the names of secret Swiss bank account holders from it wouldn’t have occurred without Birkenfeld’s cooperation, he said in an Aug. 18 request for leniency.

Since the bank’s settlement, four UBS clients have agreed to plead guilty to failing to report offshore accounts. Former UBS banker Raoul Weil is also a fugitive, and an ex-UBS manager and a Swiss lawyer were indicted in Fort Lauderdale yesterday on charges related to the investigation.

UBS bankers lured U.S. clients with sponsorships of art fairs and tennis tournaments, Birkenfeld said in court papers accompanying his plea. The bank trained employees to avoid detection in the U.S. when visiting clients, and Birkenfeld once smuggled diamonds for a client.


His leniency request included letters of support from U.S. Senator Carl Levin of Michigan, representatives of the Securities and Exchange Commission and IRS, and Rosie Casals, a former professional tennis player.

The case is U.S. v. Birkenfeld, 08-cr-60099, U.S. District Court, Southern District of Florida (Fort Lauderdale).

Read the complete story at  http://www.bloomberg.com/apps/news?pid=20601087&sid=aeO4povpQVP8

To contact the reporters on this story: Erik Larson in Fort Lauderdale, Florida, at elarson4@bloomberg.net; Carlyn Kolker in New York at ckolker@bloomberg.net.


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Monday, August 17, 2009

Newsy.com: The End of the Swiss Bank Account?

August 14, 2009 3:44

UBS has agreed to turn over 52,000 account holder names to the IRS. The Swiss government says they will block the deal because it violates Swiss banking laws. Euro news service indicated the actual number of names the Swiss release may be closer to 5,000.



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Saturday, August 15, 2009

UBS bank settlement: rich are getting nervous

UBS bank in Switzerland settled U.S. demands for the names of suspected tax dodgers. The settlement has a lot of wealthy Americans with offshore accounts nervously running to their tax advisers  and the Internal Revenue Service. Our government has also filed civil suit against the UBS bank that will lead to even more revelations.

The tax evaders have until September 23 to identify themselves to the IRS to work out a payment plan to avoid prosecution. Three people have already been convicted of tax evasion, but one of the names has not been published.

"They [the rich] are very frightened," said Richard Boggs, chief executive of Nationwide Tax Relief, a Los-Angeles-based tax firm that specializes in clients with tax debts exceeding $100,000. "You have the super rich who are not used to being pushed around and they are finding themselves in unfamiliar territory."

Rightardia suspects many of the people who have evaded taxes include conservative politicians. One wealthy senator from Florida unexpectedly resigned before the end of his term. We suspect others will start dropping like flies shortly. This will be good for the Democratic Party.

Former Senator Phil Gramm of Texas was responsible for a lot of this mischief. He was not only a lobbyist for UBS, he was also a UBS executive and had to know what was going on. The UBS activities were essentially a sophisticated conspiracy that used encrypted laptops, dummy offshore corporations, and UBS bank account executives who made thousands of covert trips to US to help wealthy clients evade US taxes.


Make no mistake about it. This was a criminal conspiracy that should have been prosecuted under the Ricoh Act. The UBS bank should be banned from doing business in the US permanently. The LGT bank and others in Lichtenstein and Switzerland should also be banned in the US that were involved in the conspiracy.

The US has been cutting the taxes for the affluent since JFK. There is no reason for tax evasion in the US except for the unrelenting greed of the upper class. The political party that shills for the wealthy is, of course, the GOP.

Homeland Security and the NSA should use the Echelon, Einstein and Solar Wind systems to monitor economic attacks against the US government. Corporate networks should also be monitored for activities that meet a tax evasion profile. NSA crackers should also attack banks in Switzerland, Lichtenstein, Andorra, Monaco and the Cayman Islands to uncover more accounts of US tax cheats.

This tax invasion is actually a bigger threat to the US than terrorism. One way to get the country back into the black is to make sure that everyone is paying their fair share of US taxes.

source: http://www.huffingtonpost.com/2009/08/15/rich-americans-scrambling_n_260325.html

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Thursday, August 13, 2009

US and UBS reach deal over tax dispute

 The US government and Swiss bank UBS have reached a deal to resolve a dispute over the disclosure of the names of American clients who are suspected of evading tax by holding offshore accounts.

The agreement will "take a little time to be signed in final form," Stuart Gibson, a tax lawyer at the US department of justice told judge Alan Gold on Wednesday.

The US government will drop its case against UBS when a settlement is finalised, Gibson said.

UBS was not immediately available for comment.

Secrecy battle

Details of the deal are not yet known, but it is expected that UBS will give US authorities the names of US citizens who had deposits in the bank.

US law forbids its citizens from evading tax through harvesting assets in offshore accounts.

The announcement comes nearly two weeks after the two sides said they had come to an agreement in principle.

US authorities had called for the release of 52,000 names of people suspected of holding deposits in UBS, but it is not clear how names might be revealed under the deal.

UBS, which the second-biggest bank in Europe by market capitalisation, had argued that releasing the names would contravene Switzerland's secrecy laws – the cornerstone of the country’s banking sector.

'New battle'

Milan Patel, a tax lawyer at Withers LLP in Geneva, said that any agreement to turn over the names of US depositors in UBS to the US government could lead to further lawsuits.

"This may mean that UBS could face a new legal battle in Switzerland if the account holders claim UBS violated Swiss bank secrecy laws by disclosing their names," Patel said.

"Thus, UBS may have ended the US legal battle only to start the Swiss legal battle."

Doug Shulman, commissioner of the Internal Revenue Service, the US tax collection agency, said "we are pleased to have initialled an agreement with the Swiss government which protects the United States government's interests."

UBS agreed in February to pay $780m to settle criminal charges in another tax dispute with the US government.

As part of that deal, it said it would hand over information related to about 250 US clients who held accounts in the bank.

The company also said that it would stop US clients from holding any of its offshore accounts services.

Update from Ubs.com web site

On 12 August 2009, the US government informed the US District Court of the Southern District of Florida that all parties have reached an agreement to resolve the John Doe summons matter and that they have initialed the final documentation. The hearing scheduled for 17 August will be removed from the court's calendar, and immediately after the formal signing has occurred, the parties will file the agreed upon stipulation of dismissal with the court.

Source: Al Jazeera and Agencies

http://english.aljazeera.net/news/americas/2009/08/2009812171745667687.html

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Wednesday, August 12, 2009

Shut Down the Swiss Bank UBS in the US

Sen. Carl Levin (D-MI) said federal regulators should consider revoking the US banking license of the giant Swiss Bank UBS because of its role in helping wealthy Americans evade billions of dollars in taxes.

"I don't think that any bank that goes to the extent that UBS has gone through to avoid doing what their agreements with the United States require them to do, should be allowed to continue to do business unless they clean up their act," Levin said.

UBS's role in arranging "undeclared" accounts for an estimated 19,000 to 52,000 US citizens was one focus of the Senate Permanent Subcommittee on Investigations. The role of the LGT bank, owned by the royal family of Liechtenstein, was also investigated.

Levin said UBS practices resulted in its U.S. clients maintaining undeclared Swiss accounts that amounted to "$18 billion dollars in assets hidden from the IRS.

Levin revealed a list of "secrecy tricks" he said the UBS bankers used to carry out their tax haven schemes.


Levin said UBS hid behind Swiss bank secrecy laws to hide its misconduct, and offered unlicensed services in the US. UBS is the world's largest private bank.

One of its bankers, Bradley Birkenfeld, has already pleaded guilty in the US to tax evasion and fraud and is cooperating with federal prosecutors in Miami.

In a plea agreement, Birkenfeld detailed how he said he had been trained by UBS to help wealthy Americans evade taxes.

In one case, Birkenfeld told prosecutors he purchased diamonds using a US client's Swiss bank account and smuggled the diamonds into the United States in a toothpaste tube.

For years, another bank, LGT Bank, in the tiny European principality of Liechtenstein, tucked between Austria and Switzerland, has also been regarded as a safe haven for wealthy Americans trying to hide their money from the IRS.

Liechtenstein is considered one of the most secretive places in the world.

That all changed when a disgruntled super geek at LGT, Heinrich Kieber, downloaded all the names and secret accounts on to two CDs and turned them over to tax authorities in the US and Europe. 

In court documents, federal prosecutors say UBS bankers helped set up many of the secret accounts in Liechtenstein.

Prosecutors say part of the Swiss bank scam was for the bank managers to have a third party set up sham entities for the US clients in tax havens, such as Panama or the British Virgin Islands, who would pose as the owners of the entities.

The American tax evaders  were probably very shocked when their information wound up in the hands of the Internal Revenue Service.

In a statement, UBS said it "has been working diligently with US and Swiss authorities" to provide information to US investigators.

The statement noted that information about tax fraud "is not protected by Swiss bank client confidentiality," suggesting it may turn over the names and account details of US citizens who had once been promised secrecy. However, the Swiss government threatened to confiscate any UBS records before they could be tuned over to the US.

A UBS executive, Mark Branson, said the bank will no longer provide "undeclared" accounts to US citizens and is "winding down" its business involving already existing accounts.

"We now know that our program had failures and misconduct did occur," Branson said in describing what he said was a UBS internal review.

"We are committed to taking both corrective and disciplinary measures," the UBS executive said.

Levin said he was "skeptical' about claims from UBS and LGT that they are changing their practices.

A spokesperson for the Liechtenstein embassy in Washington, D.C. said because it was still investigating the allegations raised in the hearing, "the Principality of Liechtenstein is not in a position to confirm specific allegations." Liechtenstein recently worked out an agreement with the UK and will also close any illegal British accounts without revealing the names of the clients.

Levin called for passage of new laws to end tax haven abuses.

Click Here for the Investigative Homepage.

source: http://i.abcnews.com/Blotter/story?id=5394214&page=1

http://en.wikipedia.org/wiki/2008_Liechtenstein_tax_affair

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Monday, August 10, 2009

U.S. lets Swiss banking giant UBS off the hook for now

For more than a year now, this tradition of bank secrecy, or financial privacy as the Swiss call it, has been under attack by the U.S. Internal Revenue Service. In July 2008, the IRS served a "John Doe" summons on UBS, seeking records to identify U.S. taxpayers with accounts at UBS in Switzerland who have not reported these accounts to the IRS. UBS dud not comply with the summons.

In February, the U.S. Department of Justice filed a petition to force the Swiss banking giant to turn over some 52,000 names of U.S. account holders the IRS suspects failed to pay taxes on account earnings as required under U.S. law.

UBS has continued to refuse to disclose the names, arguing that doing so would violate Swiss banking laws. It is a crime in Switzerland for bankers to provide information on client accounts to foreign tax authorities. Bankers who violate this law may be subject to criminal prosecution that includes the possibility of a prison sentence.
Fearing that UBS might, nevertheless, succumb to U.S. pressure, the Swiss government formally joined the fray in early July. The Swiss stated in a friend of the court brief that if a U.S. judge ordered UBS to turn over the account names, the government would seize UBS' bank records, if necessary, to prevent UBS from divulging the information. Switzerland last took this type of action 25 years ago when it seized the accounts of tax fugitive Marc Rich.
As the bank admitted earlier this year, UBS willfully assisted thousands of U.S. clients to evade hundreds of millions of dollars in taxes.
On the strength of information provided by former UBS private banker Bradley Birkenfeld on the bank's tax practices, U.S. tax authorities were poised to tear down the wall of Swiss banking secrecy.
Yet, such an outcome now appears out of reach.
On July 31, just three days before the parties were to go to trial, the U.S. and Swiss governments reached a tentative agreement in a civil case filed on Feb. 19. This agreement, which has not yet been finalized, means that UBS is not likely to give U.S. tax authorities the names of all 52,000 American clients the IRS suspects are evading taxes on some $15 billion held offshore in secret Swiss bank accounts.

On August 7, U.S. District Judge Alan Gold, who is presiding over the civil case, approved a request from both parties for another teleconference Aug. 12. A related but separate criminal case has been settled.
THE UBS STORY

UBS helped its U.S. clients evade U.S. taxes through very creative means. Internal Revenue agent and offshore compliance technical officer Daniel Reeves described many of the bank's practices in his Feb. 19 declaration in the civil case before the federal district court in Miami.
Its July 2008 report, "Tax Havens and U.S. Tax Compliance," presents evidence that from 2000 to 2007, UBS engaged in practices designed to hide the existence of accounts from U.S. authorities.

As the PSI report detailed, UBS opened tens of thousands of accounts in Switzerland for American clients, and these accounts hold billions of dollars in assets that the owners have failed to declare to the IRS.

The PSI report also noted that UBS estimated in December 2004 that it had some 52,000 undeclared account relationships with American taxpayers with assets valued at roughly 17 billion francs.
Reeves highlighted evidence from the PSI report showing the extent to which UBS tried to shield its clients:

For example, the bank helped create documents indicating that sham offshore companies, rather than the U.S. taxpayers, were the beneficial owners of the UBS accounts.

It told its American clients whom to contact to set up offshore structures that would prevent the IRS from learning the true owners, according to the report.

Bankers hand-carried client checks when traveling to the U.S. to avoid drawing attention that might have occurred if UBS wired the funds electronically.

UBS bankers used encrypted laptops and carried a generic PowerPoint presentation on their computers to show U.S. authorities if needed.

UBS bankers were told to indicate on their customs forms that their trips to the U.S. were for pleasure, not for business. The bankers always stayed at a different hotel when they returned to the U.S.

They didn't print anything on UBS stationery. The bank advised its American clients to use credit cards issued under UBS' name to avoid detection by U.S. tax authorities.
As the PSI reported, UBS client-advisors came to the U.S. about three times a year, stayed for up to three weeks a time, and met with four customers each day for a total of nearly 10,000 contacts a year.

UBS bankers solicited clients in the U.S. without a license from the Securities and Exchange Commission.

NEXT CHAPTER: THE CIVIL CASE
Although the criminal matter was settled, the civil tax matter brought remains outstanding.
As IRS Deputy Commissioner Barry B. Shott said in his February 19 declaration in the civil case, the Swiss government will provide information on suspected tax cheats only if the person has affirmatively committed fraudulent or deceptive acts, such as falsifying a document.

As Shott indicated, the Swiss government will not tell the U.S. government that a taxpayer is simply earning income on an undeclared account (U.S. citizens are liable to tax on all their income wherever earned).
Department of Justice senior litigation counsel Stuart Gibson has little sympathy for UBS. He noted in February that the bank should not be given any credit in the civil case for complying with the terms of the Justice Department's agreement in the criminal case.

"Certainly agreeing to cease helping U.S. taxpayers break the law should count for nothing," Gibson remarked. "After all, the fact that UBS finds itself in a difficult position is completely the result of its own conduct."
Although the U.S. has not yet obtained any names through the civil case, many clients with undeclared Swiss accounts have voluntarily come forward. As part of an IRS program that began in March and ends on September 23, taxpayers who voluntarily disclose their unreported offshore accounts may be eligible for clemency, but not amnesty.

The IRS has also made it clear that the taxpayer must disclose the account before the IRS has started an investigation.
There is more at stake than just tax evasion.

TOO BIG TO FAIL

U.S. taxpayers are required to file tax returns every year and to report the existence of, and any income earned from, a foreign bank account that at any time during the year has more than $10,000.

But significant tax evasion occurs through offshore accounts. The Permanent Subcommittee on Investigations has looked into tax havens and tax compliance and reported that offshore tax evasion costs the U.S. $100 billion each year.
Switzerland's financial secrecy is a vessel for tax evasion, and the U.S. would be justified in taking action against Swiss banks that it suspects of abetting breaches of U.S. law."

As important as collecting unpaid taxes is to the IRS, there are other issues that are more important to the U.S. and Swiss governments.
Preventing the collapse of another major financial institution is one of those issues. The financial services sector accounts for 12.5 percent of Switzerland's gross domestic product. According to the Boston Consulting Group, Switzerland is home to 27 percent of the world's $7.3 trillion of offshore banking deposits.

Preserving Switzerland's financial center may, ultimately, explain why the U.S. and Switzerland reached agreement.

Joann M. Weiner is a tax specialist who worked for the U.S. Treasury Department and most recently as a contributing editor for Tax Analysts. She holds a Ph.D. in economics and is an adjunct professor at The George Washington University, where she teaches public economics and a seminar on the causes and consequences of the financial crisis.

Read the complete article at : http://www.politicsdaily.com/2009/08/10/u-s-lets-swiss-banking-giant-ubs-off-the-hook/


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Friday, August 7, 2009

UBS Tax Settlement Delayed on U.S., Switzerland Talks

Aug. 7 (Bloomberg) -- The U.S. and Switzerland need at least five more days to negotiate settlement of a Justice Department lawsuit against UBS AG. The DOJ and IRS are seeking the names of Americans suspected of evading taxes through 52,000 secret Swiss accounts.

U.S. District Judge Alan Gold in Miami today agreed to a request by Justice Department attorney Stuart Gibson to reschedule another telephone conference call for Aug. 12. The two governments had agreed in principle to settle the case and hoped to reveal final terms today.

Tax lawyers said they expect UBS to disclose thousands of accounts after giving the Internal Revenue Service data on 250 clients on Feb. 18. UBS has agreed to pay $780 million to defer prosecution for aiding tax evasion.

Since then, three UBS clients have pleaded guilty in the U.S. to hiding their bank assets from the IRS. Thousands have avoided prosecution by voluntarily disclosing their accounts to the IRS under a program that ends Sept. 23. The pace of future disclosures may hinge on the accord. 

Seizure Threat 

In the past month, Switzerland negotiated on behalf of the bank, arguing that the U.S. demands would force UBS bankers to violate Swiss criminal laws protecting account secrecy.

Admissions of Wrongdoing 

The U.S. sued UBS for the account data on Feb. 19, a day after the bank admitted its Swiss private bankers helped wealthy Americans evade U.S. taxes from 2000 to 2007. UBS also admitted setting up sham companies in havens such as the British Virgin Islands, Hong Kong and Panama.

Aside from UBS’s admissions of wrongdoing, one banker pleaded guilty and cooperated with prosecutors. Another was indicted and declared a fugitive, and a third who ran the now- shuttered cross-border business was held by the U.S. as a material witness for several months last year.

The case is U.S. v. UBS AG, 09-cv-20423, U.S. District Court, Southern District of Florida (Miami).

See the complete story at http://www.bloomberg.com/apps/news?pid=20601085&sid=a4b7n_puxpDQ

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Monday, August 3, 2009

Deal reached in UBS fraud case


The US government has reached a deal in principle with Switzerland in its attempt to get the names of thousands of Americans suspected of evading taxes by making deposits in UBS, the major Swiss bank.

A final settlement in the tax secrecy case is expected to be completed within a week, Stuart Gibson, a US Justice Department tax lawyer told a federal judge in Miami on Friday.

"The parties have reached an agreement in principle on the major issues ... There are some other issues that need to be resolved," Gibson told US district judge Alan Gold.

A trial in the case that was due to begin on Monday has been postponed until August 10, pending a full agreement between the parties.

Tax haven

The agreement came as Hillary Clinton, the US secretary of state, held talks with Micheline Calmy-Rey, Switzerland's foreign minister, on the UBS case in Washington.

"There's been an agreement in principle … Our governments have worked very hard on this to reach this point," Clinton said, without giving any further details of the deal.

Calmy-Rey said she was "very satisfied" with the deal.
The US case against UBS was launched in an attempt to get the names of about 52,000 US citizens suspected of storing a total of $15bn in assets in UBS accounts.

The Internal Revenue Service, the US tax office, had called on Gold to order UBS to give them a list of all American depositors so that it can collect due taxes.

The IRS would then turn the names over to the US justice department so that it could launch criminal proceedings against anyone suspected of tax evasion.

Swiss unease

But UBS and the Swiss government had said that revealing the names would have involved breaking Swiss law.

The Zurich-based bank admitted to the US justice department earlier this year that it had helped US citizens avoid paying domestic taxes by allowing them to make deposits.

UBS disclosed the names of about 300 US clients and paid a $780m penalty as part of a deferred prosecution agreement, but the IRS then filed a case to get the list of 52,000 other US citizens suspected of storing money at the bank.

Three UBS clients whose names were given to US authorities under the agreement with the US justice department have pleaded guilty to tax evasion charges in federal court.

source: http://english.aljazeera.net/news/americas/2009/07/2009731163924865931.html

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Thursday, July 30, 2009

DOJ Tells UBS They Must Release Names Of 52,000 U.S. Tax Cheats

By Logan Murphy Wednesday Jul 01, 2009 12:00pm
 
1ubs_0d3e3.jpg
It is curious that this AP article left out one aspect of the UBS scandal -- the role former GOP Senator Phil Gramm may have played in their illegal activity.

As Jon Perr wrote earlier this year, Gramm was instrumental in handcuffing the IRS while he was in the Senate, and may have paved the way for UBS to commit their crimes once he became their Vice Chairman in 2002.

Also, the Department of Justice has already convicted two of the UBS tax evaders.

As the Justice Department said: "In 2004 alone, Swiss bankers allegedly traveled to the United States approximately 3,800 times to discuss their clients' Swiss bank accounts.

The information further alleges that UBS managers and employees used encrypted laptops and other counter-surveillance techniques to help prevent the detection of their marketing efforts and the identities and offshore assets of their U.S. clients."

It is hard to believe that Phil Gramm was not aware of  the UBS tax evasion scheme.
MIAMI – Swiss bank UBS AG "systematically and deliberately" violated U.S. law by dispatching private bankers to recruit wealthy Americans interested in evading taxes and must be forced to reveal the identities of 52,000 of those clients, the Justice Department said in a court filing Tuesday.
The filing, which comes amid several published reports that the case may be near settlement, urges U.S. District Judge Alan S. Gold to hold UBS accountable for conducting years of illegal business on U.S. soil — business that earned the bank more than $100 million in fees but cost the U.S. hundreds of millions of dollars in unpaid taxes.
"It is time for UBS to face the consequences that it has brought upon itself," said Justice Department tax attorney Stuart Gibson in the 55-page filing. "The United States has proven its case for enforcement."
source: http://crooksandliars.com/logan-murphy/doj-tells-ubs-they-must-release-names 

http://www.huffingtonpost.com/robert-scheer/endgame-for-gramm_b_187004.html

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Tuesday, July 28, 2009

Another UBS tax evader pleads guilty for hiding $8 Million in Secret Swiss Bank Accounts

TAX
(202) 514-2007
TDD (202) 514-1888

WASHINGTON - Jeffrey P. Chernick, of Stanfordville, N.Y., pleaded guilty today to charges of filing a false tax return, the Justice Department and Internal Revenue Service (IRS) announced. Chernick, who owns a corporation which represents toy manufacturers in China and Hong Kong, appeared today before Judge James I. Cohn in Ft. Lauderdale, Fla., and accepted responsibility for concealing more than $8 million in Swiss bank accounts.

According to court documents and statements made in court, on or about Oct. 14, 2008, Chernick electronically filed a U.S. Individual Income Tax Return Form 1040 for tax year 2007, which failed to report that he had an interest in or a signature authority over a financial account at UBS AG, one of Switzerland’s largest bank. He also failed to report income earned on the UBS account. The UBS account was opened in the name of Simba International Ltd., a nominee Hong Kong corporation.

According to court documents, beginning in the mid-1970’s, the defendant set up a Hong Kong corporation and opened offshore bank accounts in order to conceal from the IRS commissions paid to the defendant for toy sales. In total, Chernick was the beneficial owner of approximately $8 million in offshore assets which were maintained in accounts in the name of nominee entities, including Simba, at UBS and other Swiss banks.

According to court documents, in 2000, UBS entered into an agreement to begin providing the IRS with certain information relating to accounts in which the beneficial owner was a U.S. citizen. Around the same time, one of Chernick’s Swiss bankers left UBS for a smaller, less known Swiss bank.

This banker told Chernick he had left UBS, in part, because the smaller bank would not be subject to Washington’s scrutiny and could not be pressured by the U.S. government to disclose certain information to American authorities. Following this banker’s advice, Chernick agreed to invest some of his assets with the smaller Swiss bank.

According to court documents, from 2002 through 2008, Chernick discussed his offshore accounts with this former UBS banker and other Swiss financial service providers. These meetings took place in the United States at various locations, including hotels in New York City.

During these meetings, Chernick, the Swiss bankers and Swiss financial service providers would discuss Chernick’s investments held in his offshore accounts, as well as the payment of fees for banking services rendered by Hong Kong and Swiss financial service providers.

In July 2008, despite Chernick’s concerns about the ongoing investigation into the activities of UBS, a Swiss financial service provider convinced Chernick not to disclose his offshore accounts, not to file amended returns, and not to pay to the IRS any additional taxes that were due and owing.

According to court documents, in order to have access to the millions of dollars Chernick concealed offshore, he utilized credit cards linked to his offshore Swiss bank accounts which he used to make large purchases while traveling abroad.

Additionally, with the assistance of Swiss bankers and other financial service providers, Chernick set up a sham $700,000 loan between Simba and a second Hong Kong entity in order to repatriate funds into the United States to purchase property adjacent to his home in New York.

"Americans who have concealed assets offshore have until September 23 to voluntarily come clean with the IRS and take advantage of the reduced penalties connected with the current offshore initiative," said John DiCicco, Acting Assistant Attorney General for the Tax Division. "Failure to come forward and to disclose offshore assets exposes these Americans to increased penalties and possible criminal prosecution."

Judge Cohn scheduled sentencing for Oct. 30, 2009. Chernick faces a maximum sentence of three years in prison.

"As the investigation into offshore tax evasion continues, the United States will continue to vigorously pursue new leads and evidence as they are uncovered," said Jeffrey H. Sloman, Acting U.S. Attorney for the Southern District of Florida. "Those who enable and commit tax evasion risk substantial monetary penalties and incarceration."


In February 2009, UBS entered into a deferred prosecution agreement in which the bank admitted helping U.S. taxpayers hide accounts from the IRS. As part of the agreement, UBS provided the U.S. government with the identities of, and account information for, certain U.S. customers of UBS’s cross-border business.

"This is an important victory for America’s taxpayers who play by the rules and have no tolerance for those who shirk their tax responsibilities. Today’s action is also part of a much larger and coordinated effort by the Administration to aggressively find and crack down on tax evaders hiding their wealth overseas.

For those still hiding in this shadowy world, it is time to come in and get right with your government or face stiff criminal and financial penalties," said IRS Commissioner Doug Shulman.

In June 2009, UBS client Steven Michael Rubinstein, a Boca Raton accountant, pleaded guilty to filing a false tax return. In April 2009, another UBS client, Robert Moran, a Ft. Lauderdale yacht broker, pleaded guilty to filing a false tax return.

Acting Assistant Attorney General DiCicco and Acting U.S. Attorney Sloman commended the investigative efforts of the IRS agents involved in this case. The prosecution is being handled by Senior Litigation Counsel Kevin M. Downing and Trial Attorney Michael P. Ben’Ary of the Tax Division, and Assistant U.S. Attorney Jeffrey A. Neiman.

U.S. citizens who have an interest in, or signature or other authority over, a financial account in a foreign country with assets in excess of $10,000 are required to disclose the existence of such account on Schedule B, Part III of their individual income tax return.

Additionally, United States citizens much file a Report of Foreign Bank and Financial Accounts, or F-Bar, with the United States Treasury, disclosing any financial account in a foreign country with assets in excess of $10,000 for which they have a financial interest in or signature authority, or other authority over.
More information about the Justice Department’s Tax Division and its enforcement efforts is available at http://www.usdoj.gov/tax/.

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