Brager Tax Law Group

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Since 1973, the Bank Secrecy Act has required certain United States persons to report their foreign financial accounts to the Department of the Treasury via a Report of Foreign Bank and Financial Accounts (FBAR).
Take a few minutes to read through our latest FAQ to find out more about FBAR Filing Requirements, including who must file and when they must do so.
 
Read More Here

Have any questions or thoughts about what you'd like to see in our next FAQ post? Email me to let me know! 
 
  
May 2018
January 2018
Dennis' webinar, "Voluntary Disclosure of Foreign Assets: Current Challenges for Noncompliant U.S. Taxpayers" is now available for viewing:
Click here for the Recording
Click here for the PowerPoint

The Brager Tax Law Group is a tax litigation and tax controversy law firm, which represents clients with tax problems and tax disputes with the IRS, the California Franchise Tax Board (FTB), the State Board of Equalization (SBE) and the Employment Development Department (EDD). All of the firm's tax lawyers are former trial attorneys with the IRS. 


Former IRS Senior Trial Attorney
Nationally Recognized 
California State Bar 
Certified Tax Specialist
dbrager@bragertaxlaw.com

Tel: 310.208.6200
Fax: 310.478.8030
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Brager Tax Law Group, 11400 W. Olympic Blvd. , Suite 750, Los Angeles, CA 90064
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