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The Obligation of U.S. Investors in Offshore Hedge and Private Equity Funds to File Foreign Bank Account Reports as June 30, 2009 Deadline Approaches: IRS Suggests Offshore Hedge and Private Equity Funds Are "Financial Accounts" by William E. Elwood Dickinson Wright PLLC - Washington Office
Peter J. Kulick Dickinson Wright PLLC - Lansing Office
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July 9, 2009
Previously published on June 2009
The foreign activities of U.S. taxpayers have been the subject of recent intense scrutiny by the Internal Revenue Service ("IRS").
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