Taxpayer Gets Hit With Willful Failure to File FBAR Penalties After Voluntarily Withdrawing from OVDI Program
A taxpayer’s decision to voluntarily withdraw from the IRS’s Offshore Voluntary Disclosure Initiative (OVDI) program and instead argue a reasonable cause defense for the failure to file Foreign Bank Account Reporting forms did not end well. In the case of United States v. Ott, US DC SD Michigan, Case No. 2:18-cv-12174 the taxpayer ended up with almost $1 million in penalties when the Court determined that he had acted willfully in failing to file annual FBAR reports on his Canadian accounts.
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