IRS Continues Crack Down on Undeclared Israeli Bank Accounts!

TaxConnections Blog Post - Undeclaired Israeli Bank AccountsWe originally posted about US taxpayers with undeclared income from Israeli Bank Accounts on Monday, March 11, 2013 “IRS Targets Israeli Banks and Their US Client” now we have come to discover that Aaron Cohen of Encino, Calif., pleaded guilty Thursday, August 28, 2013 in the U.S. District Court for the Central District of California to conspiracy to defraud the United States. Cohen, a U.S. citizen, maintained undeclared bank accounts at two international banks headquartered in Tel Aviv, Israel, identified in court documents as Bank A and Bank B, according to the Justice Department and the Internal Revenue Service’s Criminal Investigation unit. One of Cohen’s undeclared accounts was maintained at a branch of Bank A located in the Cayman Islands.

The accounts were held in the names of nominees in order to keep them secret from the U.S. government.

“Today’s guilty plea is but the latest example that attempting to hide income and assets from the United States in offshore accounts is a bad gamble,” said Assistant Attorney General for the Justice Department’s Tax Division Kathryn Keneally in a statement.

Until recently, Switzerland appeared to be the main target of the Justice Department and the IRS’s efforts to crack down on undeclared foreign bank accounts.

Increasingly, the IRS and the Justice Department have been looking beyond Switzerland and the Cayman Islands to other countries where U.S. taxpayers may have undeclared bank accounts, including Israel, Liechtenstein and India.

Cohen is the latest in a series of defendants charged with failing to report income from undeclared accounts in Israel, such as Bank Leumi (see Bank Leumi Said to Help California Man Cheat IRS and Tax Preparers Charged with Hiding Funds in Israeli Banks):

Last month, Moshe Handelsman pleaded guilty to filing a false tax return.

On March 29, 2013, Zvi Sperling, pleaded guilty to conspiring to defraud the United States in connection with back-to-back loans obtained in Los Angeles at branches of Bank A and Bank B that were secured by funds in undeclared bank accounts in Israel.

On May 21, 2013, Guity Kashfi, pleaded guilty to conspiring to defraud the United States in connection with back-to-back loans obtained from branches of Bank A and Bank B in Los Angeles that were secured by funds in undeclared bank accounts in Israel and Luxembourg.

Alexei Iazlovsky of Potomac, Md., pleaded guilty on July 2, 2013 in the U.S. District Court for the Central District of California to filing a false tax return for tax year 2008.

U.S. citizens and residents who have an interest in, or signature or other authority over, a financial

account in a foreign country with assets in excess of $10,000 are required to disclose the existence of such account on Schedule B, Part III, of their individual income tax returns, the Justice Department noted.

In addition, U.S. citizens and residents must file a Report of Foreign Bank and Financial Reports, or FBAR, with the U.S. Treasury disclosing any financial account in a foreign country with assets in excess of $10,000 in which they have a financial interest, or over which they have signature or other authority.

Cohen faces up to five years in prison and a maximum fine of $250,000.

He has agreed to pay a civil penalty to the IRS in the amount of 50 % of the high balance of his undeclared accounts for failing to file FBARs.

In accordance with Circular 230 Disclosure

Tony Beecher

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