Israel Is Becoming the IRS’ Strictest Enforcer of FATCA, by Asher Rubinstein, published in Tax Notes International August 12, 2014 By Asher Rubinstein, Esq.
With Israeli Bank Accounts Under IRS Scrutiny, Israel is Becoming the IRS’ Most Severe Enforcer of FATCA June 12, 2014 By Asher Rubinstein, Esq.
The Potential for the IRS to Become Even More Aggressive When Imposing Penalties for Not Filing FBARs for Foreign Accounts June 6, 2014 By Asher Rubinstein, Esq.
Credit Suisse Pleads Guilty; Asher Rubinstein Quoted in Businessweek May 20, 2014 By Asher Rubinstein, Esq.
Did You Receive a Letter from a Foreign Bank, Urging You to Report Your Account? April 1, 2014 By Asher Rubinstein, Esq.
On Scaring Americans with Offshore Accounts to Make a Voluntary Disclosure to the IRS December 20, 2013 By Asher Rubinstein, Esq.
Should Everyone with Undeclared Foreign Assets Make a Voluntary Disclosure to the IRS? Are there Less Costly Alternatives to a Voluntary Disclosure? November 26, 2013 By Asher Rubinstein, Esq.
If You Have an Unreported Foreign Account, You Really Should Be Thinking about Tax Compliance November 21, 2013 By Asher Rubinstein, Esq.