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Firm Overview | David Klasing

Firm Overview | David Klasing

  • Contact my office to schedule your reduced rate initial consultation to learn how I can assist with your individual tax law concerns.
18 Years of Focused Experience in Taxation

How likely am I to be criminally prosecuted where I missed the October 15, 2009 deadline and subsequently decide to make a Voluntary Disclosure?

BBB Accredited Business

Because the IRS has limited investigative resources and cannot hope to detect and pursue more than a small percentage of non-filers or tax evaders, it is obviously in the government's interest to encourage taxpayers who have violated U.S. tax laws to voluntarily file amended and delinquent returns. The IRS has for many years followed a policy under which voluntary disclosure is, technically, deemed a factor to be considered in the decision whether or not to initiate a criminal investigation or recommend prosecution. The IRS takes great pains to argue that the policy does not provide an "amnesty." However, as a practical matter and in my professional opinion, it is nearly inconceivable that the IRS would recommend criminal prosecution of a person who made a voluntary disclosure that meets all the elements of the IRS's Voluntary Disclosure Policy.

The IRS Manual makes it clear that the voluntary disclosure "policy" provides no legal or formal guarantee. It states: It is currently the practice that a voluntary disclosure will be considered with all the other factors in the investigation in determining whether criminal prosecution will be recommended. This voluntary disclosure practice creates no substantive or procedural rights for taxpayers, but rather is a matter of internal IRS practice . . .. A voluntary disclosure will not automatically guarantee immunity from prosecution; however, a voluntary disclosure may result in prosecution not being recommended.

Contact my office online or call 714-908-4467 or toll free 866-974-8429 to schedule a reduced rate initial consultation to discuss your FBAR and voluntary disclosure concerns and how I can be of assistance. When you call, you will speak directly to me, not a paralegal or assistant, to get the experienced answers you need.

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Locations

Irvine Office

Irvine Office:

Tax Law Offices of David W. Klasing
2372 Morse Avenue
Irvine, CA 92614

Telephone: 714-908-4467
Fax: 949-681-3504

Irvine Law Office

Westwood Office

Los Angeles Office:

Tax Law Offices of David W. Klasing
10940 Wilshire Blvd, Suite 1600
Los Angeles, CA 90024

Telephone: 310-492-5583
Fax: 310-496-1963

Los Angeles Law Office