FBAR: Reasonable Cause Defense
Expats who haven’t filed U.S. tax returns may have penalties reduced to zero if they can show reasonable cause, though the IRS applies this strictly. It’s best to consult a U.S. tax attorney before contacting the IRS.
Can I Use the Reasonable Cause Defense in my FBAR Case?

What Is the Reasonable Cause Defense for Penalties?
There are some situations that will allow taxpayers to file late and avoid incurring late penalties. A good example under the IRS Fact Sheet 2011-13:
- Taxpayer has limited education.
- Whether the taxpayer received prior penalties.
- Recent changes in the tax forms (or law) that could not reasonably be expected to be known by the taxpayer.
- The complexity of the tax or compliance issue.
Can You Use the Reasonable Cause Defense?
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