Deutsche Being Bank Accused of Tax Fraud By Federal Prosecutors
The U.S. has been increasingly going after foreign financial institutions that try to skimp on taxes. The latest move from the IRS is an aggressive lawsuit against Deutsche Bank, which the federal tax agency claims owes the U.S. somewhere in the neighborhood of $190 million in overdue taxes, penalties and interest.
However, if you ask Deutsche Bank, they settled this dispute five years ago. According to reports, the large German bank claims that it reached a settlement with the IRS back in 2009 and it is not sure why the U.S. is coming after again regarding the same taxes.
The issue revolves around a deal that began back in 200 when Deutsche Bank acquired a company that owned three million shares of Bristol-Myers Squibb. When those shares jumped in value, the U.S. claims that Deutsch Bank skipped out on tens of millions of dollars in taxes from capital gains, when the bank eventually sold the shares.
According to the lawsuit the U.S. claims that the bank set up several so-called “shell companies” in order to absorb the tax blow from the profits made when they sold the shares. The IRS claims, however, that those shell companies did not have enough money to pay the taxes the federal government was owed. The lead prosecutor in the case claims that Deutsche Bank was involved in “nothing more than a shell game.”
U.S. Income Tax Issues Faced by Foreign Owned Corporations
U.S. Income Tax Issues Faced by Foreign Owned Corporations — Foreign company tax in USA Part 1: United States Tax Laws – A Perspective for Foreign Companies and Individuals Doing Business or Living in the United States Accounting year for tax purposes: U.S. Tax Law requires that a U.S. corporation controlled by a foreign corporation…
Foreword to United States Tax Laws
Foreword to United States Tax Laws United States Tax Laws – A Perspective for Foreign Companies and Individuals Doing Business or Living in the United States Greenstein, Rogoff, Olsen & Co. is a respected and well-recognized leader among the San Francisco Bay Area accounting firms by providing distinctive high quality tax and accounting consulting services.…
U.S. Income Tax Issues for Resident & Nonresident Aliens
U.S. Income Tax Issues for Resident & Nonresident Aliens Part 2: United States Tax Laws – A Perspective for Foreign Companies and Individuals Doing Business or Living in the United States Determining U.S. residency status There are two basic tests to determine the U.S. residency of alien individuals: the green card test, and the substantial…
Appendices
Appendices United States Tax Laws – A Perspective for Foreign Companies and Individuals Doing Business or Living in the United States Appendices Flowchart for determining residency status Copies of forms 1001, 1040, 1040NR, 1042, 1042S, 5471, 5472, 8300 and TD F 90-22.1 Appendix 2 Forms 1001- Ownership, Exemption, or Reduced Rate Certificate 1040 US Individual…