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Disparte Tax Law
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Los Angeles Tax Attorney
Los Angeles Tax Attorney

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International tax compliance can be a complex maze to navigate. If you have received a gift from a foreign person, you may have a filing requirement under IRS form 3520.

https://losangelestaxattorney.com/2017/07/01/irs-form-3520-gifts-foreign-person/
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The general statute of limitations for the IRS to assess a civil penalty in conjunction with the FBAR is 6 years. However, the failure to file international information returns can affect the statute of limitations on the entire tax return.

http://losangelestaxattorney.com/2016/11/30/fbar-statute-limitations-penalty-assessment/

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The general statute of limitations for the IRS to assess a civil penalty in conjunction with the FBAR is 6 years. However, the failure to file international information returns can affect the statute of limitations on the entire tax return.

http://losangelestaxattorney.com/2016/11/30/fbar-statute-limitations-penalty-assessment/

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The IRS collection appeal program can be a valuable tool to protect the rights of taxpayers that are facing enforced collection actions by the IRS.

http://losangelestaxattorney.com/2016/11/15/irs-collection-appeal-program/

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If you have a tax liability, you may be able to discharge the tax liability via a bankruptcy. Other options are an installment agreement or an offer in compromise.

http://losangelestaxattorney.com/2016/11/26/bankruptcy-discharging-tax-liabilities/
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Tax liabilities can be discharged in bankruptcy under the right conditions. If a taxpayer has a tax liability, bankruptcy may be a option for them to obtain a fresh start.

http://losangelestaxattorney.com/2016/11/26/bankruptcy-discharging-tax-liabilities/

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