Did you check "no" on your Schedule B part III line 7a?

Attention Global Entrepreneurs and Investors! Is the IRS dragging you down? Text “Wealth” to 818-293-4857. Anthony's firm, Parent & Parent LLP can help end your tax anxiety and frustration right now! We do it all so you can focus on better things. 20 successful years experience in tax planning, tax resolution (including audits!), bookkeeping, asset protection, and offshore disclosures/FBAR help. Everything you need under one roof. Thousands helped! Contact us at 888-727-8796 if you need assistance with your tax problem (and yes, your information will be subject to the attorney client privilege). We’ve successfully assisted thousands of clients deal with IRS issues. You can also email us at [email protected]. We deal with both domestic and offshore issues. www.irsmedic.com http://www.irsmedic.com/?p=11014 Did you check "no" on your Schedule B part III line 7a when the correct answer should have been "yes?" Do NOT freak out. Willful FBAR penalties are not automatic. Willfulness requires more than making a mistake on Schedule B. The IRS agrees: "The mere fact that a person checked the wrong box, or no box, on a Schedule B is not sufficient, by itself, to establish that the FBAR violation was attributable to willful blindness. " In this video I explain why this mistake is so common, and why you need to get a tax lawyer with "Offshore Chops" as recommended by Forbes in this article: http://www.forbes.com/sites/janetnova... To learn more about all of the 2014 OVDP changes, watch my OVDP webinar. Sign up here; http://www.irsmedic.com/voluntary-dis... #OVDPlawyer #OVDPattorney Twitter:   / irsmedic   Facebook:   / theirsmedic   Based in Connecticut, serving US taxpayers worldwide "Real Tax Attorneys for Tough Tax Problems" IRSMedic: Parent, Parent & Wynn LLP 144 S Main St. Wallingford, CT 06492 203.269.6699