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If You Failed to Report a Foreign Account, Experienced OVDP Tax Attorney Andrew L. Jones Can Represent You in Your Voluntary Disclosure, No Matter Where in the World You Live

If you have a foreign bank account or any other kind of foreign financial account and never reported it to the IRS on the Foreign Bank Account Report (FBAR), you are exposed to severe criminal and financial consequences! Experienced Offshore

Posted in US Reporting of Foreign Accounts

IRS Offshore Voluntary Disclosure Program – Get FBAR Amnesty Through OVDP With Irvine Tax Attorney Andrew L. Jones

IRS Voluntary Disclosure Program Helps You Avoid Severe Criminal and Civil Penalties – Quick Facts Call (949) 445-1942 to speak immediately with experienced Offshore Voluntary Disclosure Program tax attorney Andrew L. Jones.  What is OVDP or IRS Voluntary Disclosure Program? IRS

Posted in US Reporting of Foreign Accounts

IRS Offshore Voluntary Disclosure Program – Get FBAR Amnesty Through OVDP With Tax Attorney Andrew L. Jones

IRS Voluntary Disclosure Program Helps You Avoid Severe Criminal and Civil Penalties – Quick Facts Call (415) 745-1924 to speak immediately with experienced Offshore Voluntary Disclosure Program tax attorney Andrew L. Jones.  What is OVDP or IRS Voluntary Disclosure Program? IRS

Posted in US Reporting of Foreign Accounts

IRS Offshore Voluntary Disclosure Program – Get FBAR Amnesty Through OVDP With San Diego Tax Attorney Andrew L. Jones

IRS Voluntary Disclosure Program Helps You Avoid Severe Criminal and Civil Penalties – Quick Facts Call (858) 480-1110 to speak immediately with experienced Offshore Voluntary Disclosure Program tax attorney Andrew L. Jones.  What is OVDP or IRS Voluntary Disclosure Program? IRS

Posted in US Reporting of Foreign Accounts

IRS Offshore Voluntary Disclosure Program – Get FBAR Amnesty Through OVDP With Los Angeles Tax Attorney Andrew L. Jones

IRS Voluntary Disclosure Program Helps You Avoid Severe Criminal and Civil Penalties – Quick Facts Call (310) 210-6735 to speak immediately with experienced Offshore Voluntary Disclosure Program tax attorney Andrew L. Jones.  What is OVDP or IRS Voluntary Disclosure Program? IRS

Posted in US Reporting of Foreign Accounts

Ensuring Your Foreign Bank Accounts Are US Tax-Compliant Before the June 30, 2014 Deadline

The specter of deadlines and limited time to act has always hung over the issue of tax compliance for individuals who never reported a foreign financial account via the annual Foreign Bank Account Report (FBAR).  For those who did not

Posted in US Reporting of Foreign Accounts

Working With A Non-Local Tax Attorney – Getting the Best Attorney for Your Voluntary Disclosure No Matter Where You Live

Many IRS Voluntary Disclosure clients make the mistake of choosing their tax counsel based largely on proximity.  Call us at (415) 745-1924 to learn why that might be a mistake. We understand it’s natural instinct to choose local counsel –

Posted in US Reporting of Foreign Accounts

If You Failed to Report a Foreign Account, Experienced OVDP Tax Attorney Andrew L. Jones Can Represent You in Your Voluntary Disclosure, No Matter Where You Live in the US

If you have a foreign bank account or any other kind of foreign financial account and never reported it to the IRS on the Foreign Bank Account Report (FBAR), you are exposed to severe criminal and financial consequences! ATTENTION: As

Posted in US Reporting of Foreign Accounts

Pitfalls of Undeclared Foreign Accounts – Report of Foreign Bank Account and Financial Accounts (FBAR)

By Andrew L. Jones As attorneys, we know that many of our clients have secrets – secrets they keep from their spouses, secrets they keep from their families, and sometimes, to our surprise, secrets they keep from us. Since 2009,

Posted in US Reporting of Foreign Accounts

Offshore Account Disclosure Basics – Part 3: Why You Should Hire a Tax Attorney to Guide You Through OVDP

Why Any Taxpayer Making an Offshore Account Disclosure Must Have Legal Advice If you know that you have an undisclosed foreign account, you will most likely want to take advantage of the 2012 Offshore Voluntary Disclosure Program (still running through

Posted in US Reporting of Foreign Accounts

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