Correcting Common FBAR Errors – Late FBAR (2024)

Currently, the US government has 5 solutions to correct FBAR errors.

Participation in the two formal disclosure programs is permitted only if the funds held in the foreign financial account(s) are from a legal source (and not the proceeds of an illegal activity) and if the IRS is not already in a position to know of the person’s noncompliance.

1. File an Amended FBAR

According to the FBAR instructions, a person who previously filed an FBAR but mistakenly provided incomplete or inaccurate information on the form can file an amended FBAR. FinCEN Form 114 includes a box for providing a brief explanation of the error. Because of the 6 year statute of limitations, a filer need not correct an error on an FBAR filed more than 6 years ago.

Filing an amended or delinquent/late FBAR outside one of the IRS’s penalty relief programs provides NO penalty protection and therefore requires very careful consideration. The IRS may impose penalties if it later determines that the FBAR error was willful or due to negligence. On the other hand, no penalties may be imposed under the law if the error was due to reasonable cause (i.e., an innocent mistake). Even if the error was not due to reasonable cause, under the IRS’s penalty mitigation guidelines, the IRS has discretion to determine that a penalty would be inappropriate and may instead issue an FBAR warning letter. This approach is not recommended due to the lack of penalty protection.

2. File Pursuant to the IRS’s Delinquent FBAR Submission Procedures

A person who has not previously filed an FBAR, but who has properly filed federal income tax returns that fully reported the income from any foreign account(s), may be eligible for the IRS’s Delinquent FBAR Submission Procedures (DFSP_. Under the Delinquent FBAR Submission Procedures, “[t]he IRS will not impose a penalty for the failure to file the delinquent FBARs if you properly reported on your U.S. tax returns, and paid all tax on, the income from the foreign financial accounts reported on the delinquent FBARs, and you have not previously been contacted regarding an income tax examination or a request for delinquent returns for the years for which the delinquent FBARs are submitted.” Therefore, there should be NO unreported income.

The U.S. person must e-file the delinquent FBAR and include a statement that persuasively explains why the FBAR is being filed late. Although not required by the procedures, the explanation should also reference that the FBAR is being filed pursuant to the “IRS’s Delinquent FBAR Submission Procedures.” Our law firm has successfully filed hundreds of DFSP filings. Contact us to learn how to successfully navigate the DFSP program.

3. File Pursuant to the IRS’s Streamlined Filing Compliance Procedures: Streamlined Domestic Offshore Procedure (SDOP)

The IRS’s Streamlined Domestic Offshore Procedure (SDOP) is available for a resident U.S. person who non-willfully failed to file an FBAR and/or failed to report on a U.S. tax return income related to foreign financial account(s). Note that a taxpayer currently under examination is not eligible for the streamlined program.

In general, a taxpayer is eligible to participate in the streamlined program if his or her failure to file a U.S. tax return and/or FBAR was not willful. The streamlined program requires a participant to file federal income tax returns (or amended returns) for 3 prior years and FBARs for 6 prior years, along with a persuasive declaration (signed under penalties of perjury) attesting that his or her failure to file was not willful. A false certification could expose a disclosing taxpayer to potential civil fraud, FBAR and information return penalties, as well as criminal liability. The IRS carefully reviews and scrutinizes every certification.

The IRS will also impose a penalty equal to 5% of the maximum aggregate balance in the unreported foreign financial account(s) during the 6 year period.

Our law firm has successfully filed hundreds of SDOP filings. Contact us to learn how to successfully navigate the SDOP program.

4. File Pursuant to the IRS’s Streamlined Filing Compliance Procedures: Streamlined Foreign Offshore Procedure (SFOP)

The IRS’s Streamlined Foreign Offshore Procedure (SFOP) is available for a nonresident U.S. person who mistakenly failed to file an FBAR and/or failed to report on a U.S. tax return income related to foreign financial account(s). These procedures are also available for a nonresident U.S. taxpayer who failed to file a federal income tax return (i.e., Form 1040). Note that a taxpayer currently under examination is not eligible for the streamlined program.

In general, a taxpayer is eligible to participate in the streamlined program if his or her failure to file a U.S. tax return and/or FBAR was not willful. The streamlined program requires a participant to file federal income tax returns (or amended returns) for 3 prior years and FBARs for 6 prior years, along with a persuasive declaration (signed under penalties of perjury) attesting that his or her failure to file was not willful. A false certification could expose a disclosing taxpayer to potential civil fraud, FBAR and information return penalties, as well as criminal liability. The IRS carefully reviews and scrutinizes every certification.

In general, the IRS will not impose any penalties on a participating nonresident taxpayer.

Our law firm has successfully filed hundreds of SFOP filings. Contact us to learn how to successfully navigate the SFOP program.

5. Apply to Participate in the IRS’s Voluntary Disclosure Program (VDP)

In general, the VDP requires a taxpayer to file 6 prior years’ amended tax returns withapplicable correct international reporting forms (including Forms 8938, 5471, 8621,etc.) and FBARs, provide detailed information regarding any unreported foreignfinancial account(s), and pay all taxes and interest due for the 6 year period. Inaddition, the IRS imposes a civil penalty equal to 75% of the single year maximumtax liability and 50% of the single maximum aggregate balance in the unreportedforeign financial accounts during the 6-year period. The penalties may be decreased to20% and $10,000, respectively, in certain cases. Nevertheless, this program remains apotentially attractive option for a U.S. person otherwise exposed to even greater civilpenalties or possible criminal prosecution. Our firm has handled hundreds of caseswith the IRS’ various voluntary disclosure programs.

Correcting Common FBAR Errors – Late FBAR (2024)

FAQs

Correcting Common FBAR Errors – Late FBAR? ›

File an Amended FBAR

According to the FBAR instructions, a person who previously filed an FBAR but mistakenly provided incomplete or inaccurate information on the form can file an amended FBAR. FinCEN Form 114 includes a box for providing a brief explanation of the error.

How to fix FBAR mistakes? ›

File an Amended FBAR

According to the FBAR instructions, a person who previously filed an FBAR but mistakenly provided incomplete or inaccurate information on the form can file an amended FBAR. FinCEN Form 114 includes a box for providing a brief explanation of the error.

What are acceptable reasons for filing FBAR late? ›

Or the IRS may assess penalties on your account. So, what are the reasonable causes for filing an FBAR late? They include situations where you didn't know you needed to file, weren't aware that your account was classified as a foreign account, or didn't have the right details from your foreign bank.

Is there amnesty for late filing of FBAR? ›

FBAR Amnesty Program

In order to be eligible for the program, you need to meet the following criteria: you are not required to submit missing or amended tax returns (because all income was properly reported on your original returns); you are not under a civil examination or a criminal investigation by the IRS; and.

What happens if you miss the FBAR deadline? ›

Once the IRS realizes that you have forgotten to file your FBAR, the agency will send you Letter 4265 (FBAR Appointment Letter). Then, the IRS will request information about your foreign accounts and have you schedule a time to talk with an examiner on the phone. A lot hinges on your meeting with the examiner.

Is it okay to amend FBAR? ›

You should file an amended FBAR once you have discovered errors or omissions on a previously filed FBAR. FBAR amendment is the way to go if there are any errors or omissions on the original form. If you need to amend your FBAR, it's a good idea to do it as quickly as possible.

Does late FBAR filing trigger an audit? ›

FBARs will not be automatically subject to audit but may be selected for audit through the existing audit selection processes that are in place for any tax or information returns.

Can FBAR penalties be waived? ›

The examiner may determine that the facts and circ*mstances of a particular case do not justify a penalty. If there was an FBAR violation but no penalty is appropriate, the examiner must issue the FBAR warning letter, Letter 3800.

How common are FBAR penalties? ›

Noting, criminal FBAR penalties are rare, so if you are speaking with tax professionals who are goading you into believing that you are criminal because of your FBAR non-compliance, it is important to realize they are probably trying to fear-monger you into believing you may be subject to criminal enforcement when that ...

How many years back should I file FBAR? ›

FBAR Statute

In general, the IRS has 6 years from the date that the FBAR violation occurs to assess penalties.

How do I correct a submitted FBAR? ›

Those who need to correct a filed FBAR must file a new FBAR with the corrected information and mark the new FBAR as "Amended." Fill it out completely, even fields that don't need correction.

Can I file FBAR for previous years? ›

If you are behind in filing your FBARs, you will need to file any that are missing from the past six years. Any years before that are no longer relevant.

How many years is the FBAR audit? ›

The FBAR statute of limitations is 6 years. This is how long the government can typically impose civil penalties for FBAR violations. The clock starts ticking on the due date of the FBAR report, after which the government has up to 6 years to assess civil penalties.

What happens if you make a mistake on an FBAR? ›

The form on which these reports must be made is known as the Report of Foreign Bank and Financial Accounts (FBAR). Even a small mistake on the form can result in up to a $10,000 penalty (adjusted for inflation), and penalties are substantially higher for willful violations.

What is a reasonable cause for not filing FBAR? ›

For those penalties where reasonable cause can be considered, any reason which establishes that the taxpayer exercised ordinary business care and prudence, but nevertheless was unable to comply with a prescribed duty within the prescribed time, will be considered.

Can I file my FBAR after April 15? ›

The FBAR is an annual report, due April 15 following the calendar year reported. You're allowed an automatic extension to October 15 if you fail to meet the FBAR annual due date of April 15.

What is the penalty for incorrect FBAR? ›

A person who wilfully fails to file an FBAR or files an incomplete or incorrect FBAR, may be subject to a civil monetary penalty of $100,000 or 50% of the balance in the account at the time of the violation, whichever is greater.

Can you fix tax return mistakes? ›

If you need to make a change or adjustment on a return already filed, you can file an amended return. Use Form 1040-X, Amended U.S. Individual Income Tax Return, and follow the instructions.

What happens if I have more than $10,000 in a foreign bank account? ›

A United States person that has a financial interest in or signature authority over foreign financial accounts must file an FBAR if the aggregate value of the foreign financial accounts exceeds $10,000 at any time during the calendar year.

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