FBAR Taxpayers May Face Steeper Failure-To-File Penalties

By Friedemann Thomma and Becca Chappell (May 16, 2019, 1:01 PM EDT) -- Based on a recent U.S. District Court for the Central District of California decision, United States of America v. Jane Boyd,[1] significantly higher financial penalties may now be the reality for United States taxpayers in connection with an unintentional failure to comply with certain foreign financial reporting requirements. Specifically, the court held that a breach of the reports of foreign bank and financial accounts, or FBAR, filing obligations could incur a penalty of up to $10,000 per foreign financial account, rather than only $10,000 per year. In light of this case, United States taxpayers with multiple foreign financial accounts could be at risk for more substantial cumulative penalties if they are not in compliance with the FBAR rules....

Law360 is on it, so you are, too.

A Law360 subscription puts you at the center of fast-moving legal issues, trends and developments so you can act with speed and confidence. Over 200 articles are published daily across more than 60 topics, industries, practice areas and jurisdictions.


A Law360 subscription includes features such as

  • Daily newsletters
  • Expert analysis
  • Mobile app
  • Advanced search
  • Judge information
  • Real-time alerts
  • 450K+ searchable archived articles

And more!

Experience Law360 today with a free 7-day trial.

Start Free Trial

Already a subscriber? Click here to login

Related Sections

Law Firms

Government Agencies

Hello! I'm Law360's automated support bot.

How can I help you today?

For example, you can type:
  • I forgot my password
  • I took a free trial but didn't get a verification email
  • How do I sign up for a newsletter?
Ask a question!