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FBAR Refund Litigation

Did the IRS force you to pay multiple non-willful FBAR penalties for a single reporting year? On February 28, 2023, the Supreme Court issued its landmark decision in Bittner v. U.S. That case holds that the government may only impose one $10,000 non-willful penalty per FBAR reporting year. You may be entitled to a refund if you paid more than one non-willful penalty for a specific FBAR reporting year. Dan may be able to assist you in obtaining a refund on a contingency fee basis. Contact Dan for a free consultation.

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Tel: 210-960-2920 

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The Law Offices of Daniel N. Price, PLLC
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