The National Whistleblower Centre has filed an amicus brief in Bittner - TOTALLY DEVOID OF LEGAL ARGUMENT - arguing for per account #FBAR penalties because higher penalties would create incentives for Whistleblowers" to report @InFBARWeTrust violations. supremecourt.gov/DocketPDF/21/2… Image
As evidence of the significance of #FBAR violations (and therefore the need to incentivize whistleblowers) the brief cites statistics on the small number of FBARs filed in comparison to the far larger number of #Americansabroad (relying on info from @aaro). ImageImage
The brief seems to advocate that: 1. There is severe #FBAR noncompliance 2. The Government needs whistleblowers 3. Per account penalties will result in higher total penalties 4. The higher the penalty the more likely the whistleblowers will step in to assist the government. Image
As I read the brief, I am reminded of President John F. Kennedy's call to the nation: "Ask not what your country can do for you! Ask what you can do for your country!" Well, clearly becoming a whistleblower is something you can do for your country. ImageImage
This amicus submission neither cites nor argues a single legal principle. The brief - which points to noncompliance of #Americansabroad - argues that: If #FBAR penalties based on single per form penalty, the total penalty base won't be high enough to motivate whistleblowers.
Here is a podcast where I discuss the Bittner #FBAR case with @JimmySextonLLM prep.podbean.com/e/the-supreme-…
Here is a second podcast where I discuss the Bittner #FBAR case with @VLJeker prep.podbean.com/e/mr-fbar-make…

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More from @ExpatriationLaw

Nov 2
Tuning in on the live argument in the Bitter #FBAR case. Will tweet some of my thoughts/impressions as this unfolds. supremecourt.gov/oral_arguments…
Suggestion that existence of "reasonable cause" mitigates against the threat of draconian penalties.
Judges suggesting that the quantum in the unreported accounts matters. "If you fail to do what the secretary required you to do then you are subject to a penalty of $10,000".
Read 48 tweets
Sep 28
2022 FATCA Report: If US doesn't agree to amend #FATCA IGAs to include full reciprocity and respect GDPR (which it won't) options include: 1. Blocking law generally 2. Blocking law for @USAccidental 3. Deem #FATCA inapplicable to European residents period! europarl.europa.eu/RegData/etudes… ImageImageImage
The very last paragraph explains that #FATCA is not in the spirit of multilateral cooperation. Basically it saying that the US is essentially a 100% taken and a 0% giver. But, we know that Image
A "blocking" statute is a law that "blocks" the application of certain laws ... en.wikipedia.org/wiki/Blocking_….
Read 10 tweets
Sep 25
In her own words “Nancy” in a message to @DemsAbroad (1) fails to identify #Americansabroad as a priority while mentioning other groups (2) confirms that your value is ONLY in your vote. A vote for a Democrat anywhere is a vote against every American abroad everywhere.
@DemsAbroad Did @DemsAbroad assist in drafting this message? If yes DA confirms #Americansabroad are not a priority. If no @TheDemocrats confirm #Americansabroad not a priority.
Seriously, @DemsAbroad needs to respond to this “tone deaf” message from Nancy. You couldn’t invent a more offensive message if you tried. Maybe @DemsAbroadCan (home of so many potential voters) could/should respond?
Read 8 tweets
Sep 8
Lesson from @VLJeker: Some people may never be able to renounce US citizenship. Others may have capacity to renounce now but may not have the capacity to renounce in the future. The inability to renounce has implications for estate and life planning and should be taken seriously!
@VLJeker I have and do see cases where the aging process has eroded the capacity to form the intention to renounce. The result is that certain people are forced to continue to live and die as US citizens. While not a problem for US residents, it can be a big problem for #Americansabroad.
Problems of living/dying as @USCitizenAbroad include: 1. US @citizenshiptax regime while alive 2. Estate having to file US tax returns at death 3. Difficulties leaving assets to nonresident alien spouse 4. Possible Estate Tax 5. Estate Tax return to transfer certain US assets
Read 7 tweets
Sep 4
Supreme Court Asked to Consider if FBAR Penalty Is Excessive Fine taxnotes.com/research/feder…
Separately on Nov. 2/22, in Bittner, the US Supreme Court will hear the case on the issue of whether the non-willful civil #FBAR penalty (found in 5321) - can be applied (based on a reading of 5314) on a "per account" or on a per "form" basis. It's the season of @InFBARWeTrust!
So, Bitter is about the interpretation of penalty application under 31 USC 5314 and 5321. Toth (if the Supreme Court hears the case) is about whether there are constitutional limitations to any penalties imposed under 31 USC 5321.
Read 10 tweets
Aug 7
@AmerIronCurtain @BlognDog @AmExpatFinance @CrossBriton @tconsult @ACAVoice @CitizenshipTax 1. Look at the various lawsuits. Not a single one so far is focussed on ending @Citizenshiptax. 2. Look at @Demsabroad and @ACAVoice - neither has the slightest interest is severing citizenship from @taxresidency. 3. Individuals follow the various orgs. ...
@AmerIronCurtain @BlognDog @AmExpatFinance @CrossBriton @tconsult @ACAVoice @CitizenshipTax @DemsAbroad @TaxResidency 4. Complexity: Very difficult to understand all the moving parts and how they integrate. 5. Unbelievable ignorance of the the tax compliance community (making claims like treaties prevent double tax and this form is only an information return which doesn't result in tax owing ...
@AmerIronCurtain @BlognDog @AmExpatFinance @CrossBriton @tconsult @ACAVoice @CitizenshipTax @DemsAbroad @TaxResidency 6. Confusing symptoms/result of the problem (PFIC, #GILTI, etc) with the actual problem problem @citizenshiptax 7. Believing that not filing (personal solution) is somehow a general solution ...
Read 6 tweets

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