IRS' Math Correct In Vineyard Owner's FBAR Row, Court Told

By Theresa Schliep · December 2, 2021, 9:00 PM EST

A California federal court should affirm the Internal Revenue Service's calculation of roughly $440,000 in foreign bank account reporting penalties against a vineyard owner, the U.S. government said, arguing the computation...

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Case Information

Case Title

United States of America v. Hughes

Case Number

3:18-cv-05931

Court

California Northern

Nature of Suit

Forfeit/Penalty: Other

Date Filed

September 27, 2018