
Only available for TPP unlimited CE subscribers.
The webinar covers the Streamlined Filing Compliance Procedures, including eligibility for U.S. and non-U.S. residents, reduced penalty structures, and risks of audit selection. The Delinquent International Information Return and FBAR Procedures will be explored, including reasonable cause statements and potential audit risks.Finally, the IRS Criminal Investigation Voluntary Disclosure Practice will be analyzed, focusing on mitigation strategies, penalties, and the risks of willful noncompliance.
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*Self-Study recording not available for NASBA CPE credit.
IRS Program #: 7Q3WU-T-00726-25

Ruth Mattson, Esq. is a partner in Nixon Peabody LLP’s International Private Clients group. They guide families and individuals through the complex world of cross-border wealth. Whether working with family offices, executives, or multigenerational families, Ruth brings clarity and creativity to plans involving global mobility, international estate planning and multinational trust and estate administration. Ruth is a frequent speaker and author on international estate planning topics for the American College of Trust and Estate Counsel (ACTEC), Massachusetts Continuing Legal Education, and other professional organizations around the world. Ruth received their J.D. from Temple University Beasley School of Law in Philadelphia, Pennsylvania, and their LL.M. from Boston University School of Law’s Graduate Tax Program. They are a lecturer at Boston University School of Law, an Academician of the International Academy of Estate & Trust Law, a Fellow of ACTEC, a former co-chair of STEP New England, and a recipient of the President’s Award from the Boston Estate Planning Council.
2 IRS CE/2 NASBA CPE*
The webinar covers the Streamlined Filing Compliance Procedures, including eligibility for U.S. and non-U.S. residents, reduced penalty structures, and risks of audit selection. The Delinquent International Information Return and FBAR Procedures will be explored, including reasonable cause statements and potential audit risks. Finally, the IRS Criminal Investigation Voluntary Disclosure Practice will be analyzed, focusing on mitigation strategies, penalties, and the risks of willful noncompliance. Only available for TPP unlimited CE subscribers.