EFTA01055360.pdf
dataset_9 pdf 104.6 KB • Feb 3, 2026 • 2 pages
From: "jeffrey E." <jeevacation@gmail.com>
To: Jeffrey Epstein <jeevacation@gmail.com>
Subject: Fwd:
Date: Sun, 05 Feb 2017 23:14:38 +0000
Forwarded message ------
From: Jeffrey E leevacation@gmail.com>
Date: Sun, Feb 5, 2017 at 11:26 AM
Subject:
To: Jeffrey Epstein <jeevacation@gmail.com>
here are many reasons why a taxpayer may owe no income tax on his foreign accounts. The taxpayer may have
reported income from the accounts on his income tax returns. Or the accounts may have not generated any
income.
It is also possible that the assessment statute of limitations has expired on income generated by the account. For
example, assume that Taxpayer had a Swiss account, but closed it in 2010, and has not had a foreign account
since. Taxpayer has not filed an FBAR for the Swiss account. The income tax assessment statute of limitations
is three years, and it begins to run from the time the tax is assessed. Tax is assessed upon the filing of an income
tax return, or later upon audit. A 2010 income tax return was due to be filed on April 15, 2011, but may have
been extended to October 15, 2011, and of course may have been filed late. If more than three years have
passed since Taxpayer filed his 2010 income tax return, and he has paid all income tax was assessed against
him, then he could owe no income tax for any year before 2011.
It is true that there is no assessment statute of limitations where the taxpayer has committed fraud. But the IRS
has the burden of proving fraud, by clear and convincing evidence. Fraud requires proof that the client knew and
understood the law, and deliberately failed to follow it. Fraud also requires an element of deceit, dishonesty, or
evil motive. We would never presume that a client has committed fraud. There is no evidence that Taxpayer in
our example has committed fraud.
The statute of limitations on assessment of an FBAR penalty is six years, and it begins to run on the filing date of
the FBAR--the June 30 succeeding the calendar year of the FBAR.
please note
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EFTA01055360
please note
The information contained in this communication is
confidential, may be attorney-client privileged, may
constitute inside information, and is intended only for
the use of the addressee. It is the property of
JEE
Unauthorized use, disclosure or copying of this
communication or any part thereof is strictly prohibited
and may be unlawful. If you have received this
communication in error, please notify us immediately by
return e-mail or by e-mail to jeevacation@gmail.com, and
destroy this communication and all copies thereof,
including all attachments. copyright -all rights reserved
EFTA01055361
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- Document ID
- 3962a2c5-5010-4be6-996d-48293eaa55ae
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- Feb 3, 2026