Tennessee IRS Attorney
Successfully Resolving Complex Tax Matters, Including Voluntary Disclosure and FBAR Violations
Thorn Law Group’s experienced Tennessee IRS attorneys offer superior legal services for both domestic and international tax matters. We successfully handle complex tax cases involving Foreign Bank Account Reporting (FBAR), the Foreign Account Tax Compliance Act (FATCA), the Offshore Voluntary Disclosure Program (OVDP), IRS and DOJ criminal investigations, voluntary disclosure and more. Consult with us today to discover how we can help you avoid IRS penalties and save millions in the process.
The IRS is Cracking Down on Offshore Account Evasion and You May Be Next
Are you responsible for paying taxes in Tennessee? Do you have financial accounts overseas? If so, you may become the target of an IRS investigation.
The IRS is cracking down on U.S. taxpayers with foreign accounts. Offshore account holders have an obligation to disclose their assets if their aggregate total surpasses $10,000 in a calendar year at any particular moment. Since aggregate total is the determining factor, account holders must pay close attention to the combined value of all their accounts.
If the $10,000 mark is exceeded and you either fail to disclose your overseas accounts entirely or underreport their value, you may (and are likely to) incur a slew of penalties, including exorbitant fines and criminal charges. Fortunately, this is not something you have to deal with on your own. A Tennessee IRS attorney at Thorn Law Group can protect your rights and reduce your IRS liabilities.
Led by Managing Partner Kevin E. Thorn, Thorn Law Group is comprised of former IRS lawyers who have in-depth knowledge of how the tax system works. We know what options and defenses are available to taxpayers with undisclosed foreign accounts and fight to lower or completely eliminate your risk of tax-related penalties.
Offering Solutions for a Range of Complex Foreign Account Matters
Thorn Law Group can assist you with a wide range of tax matters, including filing a Report of Foreign Bank and Financial Accounts (FBAR), an amended FBAR and contesting IRS allegations of tax evasion. Turn to our firm for assistance resolving complex tax matters involving:
- Foreign Account Tax Compliance Act (FATCA)
- Foreign Bank Account Reporting (FBAR)
- International Tax Controversies and Disputes
- IRS and DOJ Investigations and Litigation
- Offshore Voluntary Disclosure
- Undisclosed Foreign Accounts
Contact an Experienced Tennessee IRS Attorney Today
If you are struggling with matters pertaining to offshore account, asset or income disclosure in Tennessee, turn to Thorn Law Group for help. We understand the complexities in reporting foreign accounts and how easy it can be to make an honest mistake. Our goal is to save you money and the more severe penalties, such as civil or criminal charges, that the IRS can impost. To discuss your options, contact Managing Partner Kevin E. Thorn today.