| http://www.w3.org/ns/prov#value | - Hence, do nothing and await the audit when and if the IRS chooses to audit.And, there are other fact patterns imaginable where, if the taxpayer is not willful, even the maximum non-willful FBAR penalty for 5 or 6 open years (more likely less in the case of audit) would be less than even the 5% Streamlined Penalty.The analyses and options could probably be mapped out in some sort of decision tree.
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