Asset Protection

Sitemap            Contact Us             Research by Topic

Free Newsletter       Lexicon       BLOG       FAQ START HERE

Riser Adkisson LLP
 

 

For our famous summary chart showing exemptions on a state-by-state basis for IRAs and ERISA plans, homestead, life insurance and annuities, Click Here

Alabama

Alaska

Arizona

Arkansas

California

Colorado

Connecticut

Delaware

Florida

Georgia

Hawaii

Idaho

Illinois

Indiana

Iowa

Kansas

Kentucky

Louisiana

Maine

Maryland

Mass.

Michigan

Minnesota

Mississippi

Missouri

Montana

Nebraska

Nevada

New Hampshire

New Jersey

New Mexico

New York

North Carolina

North Dakota

Ohio

Oklahoma

Oregon

Pennsylvania

Rhode Island

South Carolina 

South Dakota

Tennessee

Texas

Utah

Vermont

Virginia

Washington

West Virginia

Wisconsin

Wyoming

Distr.Columbia

 
 
Financing Accounts Receivables
Financing Accounts Receivable for Retirement and Asset Protection,
by Ronald J. Adkisson
 
 
Advanced Strategies
Beneficiary-Taxed Irrevocable Trust
Billing & Collection Company
Closely-Held Insurance Company
Xtreme LLC
Modular Asset Protection
Non-Qualified Personal Residence Trust
RetireZ Non-Qualified Private Retirement Plan
Series LLC
Synthetic Roth
 
 
Hazardous or Overused Strategies
Foreign Asset Protection Trust (FAPT)
Domestic Asset Protection Trust (DAPT)
Land Trusts
Family Limited Partnership (FLP)
Nevada Corporations and LLCs

 

Adkisson & Riser's

Developments

in Asset Protection and Wealth Preservation

Our periodic newsletter Developments in Asset Protection and Wealth Preservation covers new cases and events in wealth preservation planning, creditor-debtor law, and asset protection. It is widely used by other professionals to keep them apprised of the latest changes in the law. And it's free!
Current and Past Issues
Free Subscription

Archives

 

Seminars
Speaking Engagements
Legal Disclaimers
Contact Us

 

Saturday, August 06, 2005

Is protecting assets from the IRS a legal objective of asset protection? No, it's illegal to do so, as the following conviction of somebody who did this found out.

Also, it's interesting to note that this is one of the first cases involving Terry Neal clients. Terry Neal, you might recall, authored such works as "The Offshore Advantage" and "The Nevada Advantage", and one of his associates effectively controlled Nevada-based Laughlin, Inc. To avoid a harsh prison sentence himself, Neal agreed to cooperate in the prosecution of his clients, and you can see for yourself some of the results.

-- Jay




FOR IMMEDIATE RELEASE, WEDNESDAY, JULY 1, 2005
WWW.USDOJ.GOV TAX
(202) 514-2007
TDD (202) 514-1888

SHELBY COUNTY, ILLINOIS INSURANCE SALESMAN CONVICTED OF TAX EVASION, WIRE FRAUD AND MONEY LAUNDERING

Defendant Ordered to Pay Restitution of Over $1.1 Million

URBANA, IL - Denny R. Patridge of Shelby County, Illinois was convicted today of tax evasion, wire fraud, and money laundering today in a U.S. District Court. Eileen O'Connor, Assistant Attorney General for the Justice Department's Tax Division; Jan Paul Miller, United States Attorney for the Central District of Illinois, and Nancy Jardini, Chief of the Internal Revenue Service (IRS) Criminal Investigation Division.

After almost 13 days of evidence and approximately five and a half hours of deliberation, the jury convicted Denny R. Patridge, age 56, of evading the payment of his 1996 and 1997 personal income taxes; evading the assessment of his 1999 personal income taxes, two counts of wire fraud and two counts of money laundering. Patridge was acquitted on one charge of willfully filing a false tax return for 1998.

"People who develop and use schemes to hide income and assets from the IRS and who evade their tax obligations should expect to be prosecuted and convicted, and to serve time in federal prison," said Assistant Attorney General O'Connor.

U.S. Attorney Miller stated, "Today's jury verdict makes it clear that those who engage in "shell-games" to avoid paying their fair share in taxes will be held accountable."

"This conviction confirms that the IRS is determined to stop abusive tax schemes. Promoters as well as those who knowingly invest in the use of abusive trust schemes for the purpose of evading taxes will be pursued by the IRS," stated Nancy Jardini, Chief of the IRS Criminal Investigation Division. "We will continue to investigate and recommend for prosecution those individuals who willfully disobey the tax laws."

Denny Patridge operated an insurance business known as Patridge Insurance Services, Inc. from an office in his Strasburg home. The evidence presented at trial established that Patridge established "trusts" which he used to conceal his earnings, hide the origin of his income, deceive the Internal Revenue Service, and circumvent personal income taxes. Patridge placed funds in bank accounts which bore the names of his "trusts" and claimed on trust tax returns that the funds had been distributed to an offshore trust. At all times, however, Patridge retained full control over funds in the trust bank accounts and enjoyed the beneficial use of those funds, which made the income taxable to him personally.

The trial evidence also established that Patridge did not report a substantial amount of his income on returns he filed for 1996 and 1997. In 2000, after the IRS notified Patridge that it had made a formal assessment of the 1996 and 1997 back taxes he owed, Patridge liquidated his investment accounts, set up an "offshore" account, and placed approximately $200,000 in the offshore account. Patridge also evaded approximately $19,523 in taxes for calendar year 1999 on taxable income of approximately $76,796. He evaded those taxes by, among other things, transferring money he earned as income to a foreign account, concealing that money from the IRS, using the money to pay personal expenses, and failing to file an individual income tax return.

According to the evidence presented at trial, shortly after the IRS informed Patridge that a lien could be placed on his property if he failed to pay his 1996 and 1997 income taxes, Patridge set up a system to hide his assets from the IRS. He began to move his money offshore to an account that was under his control but not under his name. He established a new account at Edgar County Bank and Trust in Paris, Illinois, in his own name, through which funds could be directed offshore. In October, 2000, he wired approximately $200,000 in funds from the account at Edgar County Bank to an account at a bank in St. Kitts held in the name of Nevis American Trust Company, an entity which maintained the funds on behalf of Sultan Services, Ltd. Sultan was under Patridge's direction.

After he transferred $200,000 to St. Kitts, Patridge then took steps to prevent the IRS from obtaining a first lien on his real estate. He caused the mortgage on his home in Strasburg to be recorded with the clerk of Shelby County, Illinois, with a $100,000 "loan" from a corporation controlled by Patridge. In October 2000, Patridge wired $100,000 from an offshore location to a corporation he controlled in the U.S. The purpose of the transfer was to provide the corporation with sufficient funds to "loan" Patridge $100,000, using his home in Strasburg as security for the loan. Then, after Patridge transferred $100,000 from offshore to the U.S. and established a false mortgage, he transferred the money back offshore and was able to use the money as he personally desired.

The evidence also showed that Patridge had obtained the sham trusts that he used to conceal assets and evade taxes from an entity known as Aegis, located in Palos Hills, Illinois, and that Patridge assisted in the sale of at least one Aegis trust package. Eight individuals associated with Aegis are currently under indictment in the Northern District of Illinois for various offenses related to the sale and promotion of these trusts. Three tax preparers associated with Aegis have also been indicted in the Northern District of Illinois, and two of those preparers have pleaded guilty.

Patridge also utilized a business, known occasionally as Offshore Consulting Services (OCS) and Laughlin, Inc., run by Terry Neal out of Portland, Oregon to set up a nominee company in St. Kitts, and Nevis and one in Reno, Nevada. At least three individuals associated with OCS and Laughlin, Inc., have been indicted in the District of Oregon.

Sentencing is set for Monday, November 21, 2005 before U.S. District Judge Michael P. McCuskey in Urbana, Illinois.

Patridge faces maximum statutory penalties of up to three and five years imprisonment respectively and fine of up to $250,000 for each count of tax evasion. The maximum statutory penalty for the offenses of wire fraud and money laundering is up to 20 years in prison and fines of $250,000 to $500,000.

The charges were the result of an investigation by the Criminal Investigation Division of the Internal Revenue Service. The case was prosecuted by Hilary W. Frooman, Assistant U.S. Attorney in the Urbana Division, and Lea A. Carlisle, Trial Attorney, of the Justice Department's Tax Division.

posted by Jay @ 8/06/2005 07:45:00 AM   0 comments


The June/July issue of Developments has been posted. Articles include:

- Captive Insurance: Benefits & Responsibilities

- Captives for Workers Compensation

- Litigation Expense Policies and Risk Retention Groups

- Stupid Captive Tricks

- Recent Case Update

- Report from Quatloosia: Life Settlements

Available in .html at http://www.risad.com/Dev_Jun-Jul2005.htm

Available in .pdf at http://www.risad.com/Developments_Jul2005.pdf

Subscribe at http://www.risad.com/subscribe.php

posted by Jay @ 8/06/2005 07:39:00 AM   0 comments


Previous Posts

Wackos Attempt Collection of Bank of America's Ass...

IRS serves John Doe Summons in UBS Case

Merry Morris Pays $1 Million for Cook Islands Trus...

DOJ seeks John Doe summons against UBS

Vermont's Cyber Companies

In re Eckert -- Detailed Fraudulent Transfer Analy...

Tax Consequences of Foreclosure, Short Sale and De...

Deadline Approaching for Filing Form TD F 90-22.1

New federal legislation to require disclosure of b...

Hunt for International Tax Cheats

 

  GUIDE TO WEBSITE
  CREDITOR-DEBTOR NEWS
  ABOUT THE AUTHORS
  SELECTED STRATEGIES  
  HOT TOPICS
  EXEMPTION PLANNING
  STATE EXEMPTION CHART
  PROFESSIONAL ISSUES
  OCCUPATIONAL ISSUES
  TRANSACTIONAL PLANNING
  BUSINESS ENTITY PLANNING
  A/R FINANCING
  CAPTIVE INSURANCE
  TRUSTS & FOUNDATIONS
  OFFSHORE PLANNING
  HAZARDOUS STRATEGIES
  CALENDAR OF APPEARANCES
  DEVELOPMENTS NEWSLETTER
  ASSET PROTECTION LEXICON
  ASSET PROTECTION BLOG
  ASSET PROTECTION FAQ
  OTHER WEBSITE FEATURES
 
CONTACT RISER ADKISSON LLP
ABOUT ASSET PROTECTION
 
Asset Protection:
Concepts & Strategies
,
by Jay D. Adkisson
and Christopher M. Riser
 

Available at

Amazon.com and Barnes & Noble

- - - - - - - - - - - - - -
 
Captive Insurance Company Book
Adkisson's Captive
Insurance Companies
,
by Jay D. Adkisson
 
Available at
Amazon and Barnes & Noble
 
 
CONTACT RISER ADKISSON LLP
ABOUT ASSET PROTECTION


 

spacerAdditional Important Information

Nothing in this website is any substitute for the legal advice or opinion of a licensed attorney in your state. This website is simply a starting resource for information on the topics herein and does not claim to provide any definitive answer and should not be relied upon for any purposes whatsoever. Non-professionals should seek the assistance of a licensed attorney in their jurisdictions, and professionals should please consult the primary source materials such as statutes and case laws directly. Nothing in this website may be relied upon under IRS Circular 230 to avoid penalties for an incorrect tax position.

Adkisson Publishing Inc. is not a law firm and does not provide any legal service of any nature whatsoever. Adkisson Publishing Inc. is a publisher of books, websites and provides speakers on various topics. The person responsible for this website is Jay D. Adkisson in his capacity of President of Adkisson Publishing Inc. and questions regarding it should be addressed to him at Adkisson Publishing, Inc., P.O. Box 7088, Laguna Niguel, CA 92677.

spacer© 2008 by Adkisson Publishing Inc. All rights reserved. No portion of this page or any portion of this website may be reprinted or otherwise duplicated without express written permission of Adkisson Publishing LLP. Legal issues should be faxed to (877) 698-0678.

 

Captive Insurance -- Equity-Indexed Annuities -- Accounts Receivable Financing
Financial Scams and Tax Frauds Revealed -- LostEye -- Contact

Proud Supporter of Quatloos.com