Risks Posed by the IRS Offshore Crackdown and Recent Case Law to International IRC § 831(B) Captive Insurance Companies
Cayman Financial Review (January 15, 2014)
3 Pages Posted: 24 Jul 2021
Date Written: January 15, 2014
Abstract
The Internal Revenue Service and U.S. Department of Justice have been conducting a nearly decade-long crackdown on tax avoidance activities of U.S. citizens doing business internationally. The offshore crackdown began with hearings conducted by the U.S. Senate Finance Committee, in which the Senate committee that controls IRS funding made it clear that it expected the IRS to get aggressive in international tax enforcement. This article discusses the history of such IRS enforcement as it relates to offshore captive insurance companies.
Suggested Citation: Suggested Citation
Cantley, Beckett, Risks Posed by the IRS Offshore Crackdown and Recent Case Law to International IRC § 831(B) Captive Insurance Companies (January 15, 2014). Cayman Financial Review (January 15, 2014), Available at SSRN: https://ssrn.com/abstract=3226499 or http://dx.doi.org/10.2139/ssrn.3226499
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