Client came to Abajian Law with an undisclosed Swiss bank account that contained over $1 million. It was determined that an OVDP was the proper way to resolve the issues with the IRS. After meeting with the client several times and getting to really know every intricate detail of his life, Vic was able to craft a very persuasive memo for why the taxpayer’s behavior was non willful and thus, they should only be subject to the 5% penalty instead of the 27.5% minimum. The IRS OVDP auditor agreed and the client saved hundreds of thousands of dollars.