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K&M has successfully represented whistleblowers who have uncovered fraud in various industries, including pharmaceutical, nursing home, hospice, hospital billing, and defense contracting. K&M only provides legal advice after having entered into an attorney-client relationship, which our blog specifically does not create. See our websites for more information on the attorney client relationship.

Friday, September 18, 2009

UBS Tells Clients to Get an Attorney

Swiss bank UBS sent a letter on September 10, 2009, to several of its US clients warning that their undisclosed income in Switzerland may be reported to the United States Internal Revenue Service. UBS told US clients to appoint a Swiss attorney to represent them or the Swiss government would appoint one for them.

As part of the recent settlement between the United States and UBS, UBS will reveal the identities of 4,450 US account holders that UBS believes have failed to pay US taxes by hiding assets in the Swiss banking system. The settlement resulted from a lawsuit filed by the United States seeking disclosure of all 52,000 account holders. The Swiss government became involved to protect its banking industry and assisted in negotiating the compromise. The international lawsuit against UBS is the second case this year involving undisclosed foreign assets. In February, UBS pled guilty to criminal tax evasion and disclosed 250 names. The two cases will only yield 4,700 US account holders out of 52,000, but those revealed are anticipated to be the largest UBS violators of the IRS tax laws.

Under the settlement agreement, the Swiss have 360 days to process the 4,450 accounts before the names will be released to the United States. UBS account holders who have been targeted for disclosure may appeal the disclosure decision to the Swiss Federal Administrative Court before the information is submitted to the United States. The Swiss govenment has appointed 5 temporary judges to handle approximately 500 anticipated appeals of the bank's disclosure decision. The decision of the Swiss Federal Administrative Court will be final.

In the meantime, record numbers of offshore account holders are taking advantage of a time limited IRS voluntary disclosure period, hoping to reduce their exposure to back taxes and a reduced fine with no criminal penalty. The IRS now averages an unprecedented 500 voluntary disclosures per week. The deadline for voluntary disclosure is September 23, 2009.

Sadly, there are still thousands and thousands of offshore account holders who will not be reported to the Internal Revenue Service, either voluntarily or through the UBS settlement. Those with information about tax evasion and/or tax underpayment can contact KEMY to learn if that information could qualify for a reward from the IRS.

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