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Offshore Accounts & Voluntary Disclosures



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The Thorn Law Group is in the process of representing numerous individuals, companies, trusts and other professionals in regard to their voluntary disclosure of previously undisclosed offshore accounts.

The Internal Revenue Service is currently utilizing a large number of its enforcement employees to investigate those US taxpayers that have failed to disclose and/or to report the income from their foreign bank accounts. 

The vast majority of these accounts are located in Switzerland, Canada, the Caribbean, India, Liechtenstein, and include most of the major banks in the world.

The Attorneys at the Thorn Law Group not only represent clients in voluntary disclosures, but we also represent individual taxpayers, entities and professionals:

Under criminal investigation by the Internal Revenue Service and the Department of Justice.

That have received Information Document Requests (IDRs) regarding their foreign bank accounts and/or interest in foreign assets.

Which are currently under audit by the Internal Revenue Service and/or are being investigated by the Criminal Investigation Division (CI) of the Internal Revenue Service.

That are in the process of filing their Foreign Bank Account Reporting (FBAR) forms or other Information Reporting Forms.

The attorneys at the Thorn Law Group, also help:

Professionals (Attorneys, CPAs and Bank Employees) with the audit of their client files in relation to the proper filing of foreign bank account reporting forms and information documents.

Counsel banks and financial institutions in regards to their United States tax compliance programs and procedures.

For the most up-to-date information on voluntary disclosures, offshore accounts, IRS audits and criminal investigations, please visit:

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For a free consultation concerning the Internal Revenue Service, government investigations, offshore accounts or voluntary disclosures, please contact Kevin E. Thorn, Managing Partner of the Thorn Law Group at ket@thorntaxlaw.com or 202-349-4033.