📄 Extracted Text (528 words)
From: jeffrey E. <[email protected]>
Sent: Sunday, February 5, 2017 11:15 PM
To: Jeffrey Epstein
Subject: Fwd:
Forwarded messag=
From: jeffrey E. <[email protected]= <mailto:[email protected]»
Date: Sun, Feb 5, 2017 at 11:26 AM
Subject:
To: =effrey Epstein <jeevacation@gm=il.com <mailto:[email protected]»
here are many reasons why=a taxpayer may owe no income tax on his foreign accounts. The taxpayer may have
reported income from the accounts on his income tax returns. Or the accounts may have not generated any income.
It is also possible that the assessment statute of limitations has expired on income generated by the account. For
example, assume that=20 Taxpayer had a Swiss account, but closed it in 2010, and has not had a foreign account since.
Taxpayer has not filed an FBAR for the Swiss=20 account. The income tax assessment statute of limitations is three=20
years, and it begins to run from the time the tax is assessed. Tax is=20 assessed upon the filing of an income tax return,
or later upon audit. A 2010 income tax return was due to be filed on April 15, 2011, but m=y have been extended to
October 15, 2011, and of course may have been filed late. If more than three years have passed since Taxpaye= filed
his 2010 income tax return, and he has paid all income tax was assessed against him, then he could owe no income tax
for any year before 2011.
It is true that there is no assessment statute of limitations wher= the taxpayer has committed fraud. But the IRS has the
burden of provi=g fraud, by clear and convincing evidence. Fraud requires proof that t=e client knew and understood
the law, and deliberately failed to follow it. Fraud also requires an element of deceit, dishonesty, or evil motive. We
would never presume that a client has committed fraud. There is no evidence that Taxpayer in our example has
committed fraud=
The statute of limitations on assessment of an FBAR penalty is six years, and it begins to run on the filing date of the
FBAR--the June 30 succeeding the calendar year of the FBAR.
=C2 please note
The information contained in t=is communication is confidential, may be attorney-client privileged, ma= constitute
inside information, and is intended only for the use of =he addressee. It is the property of JEE Unauthorized use,
disclosure=or copying of this communication or any part thereof is strictly prohib=ted and may be unlawful. If you have
received this communication in =rror, please notify us immediately by return e-mail or by e-mail to
[email protected]=m, and destroy this communication and all copies thereof, includ=ng all attachments. copyright -all
rights reserved
EFTA_R1_01910065
EFTA02661590
=AO please note
The information contained in this commu=ication is confidential, may be attorney-client privileged, may cons=itute
inside information, and is intended only for the use of the addre=see. It is the property of JEE Unauthorized use,
disclosure or copyi=g of this communication or any part thereof is strictly prohibited a=d may be unlawful. If you have
received this communication in error, pl=ase notify us immediately by return e-mail or by e-mail to
[email protected], a=d destroy this communication and all copies thereof, including all a=tachments. copyright -all
rights reserved
2
EFTA_R1_01910066
EFTA02661591
ℹ️ Document Details
SHA-256
33a716089393014d9f0ce71e6a059342701f4a2922d7fce24663c4d3d3592b6e
Bates Number
EFTA02661590
Dataset
DataSet-11
Document Type
document
Pages
2
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