Jan 9 (Reuters) – U.S. authorities are moving toward taking legal action against Wegelin & Co, which could lead to an indictment of one of Switzerland’s last pure private banks, on charges that it enabled wealthy Americans to evade taxes, according to two persons with knowledge of the case
Jan 9 (Reuters) – U.S. authorities are moving toward taking legal action against Wegelin & Co, which could lead to an indictment of one of Switzerland’s last pure private banks, on charges that it enabled wealthy Americans to evade taxes, according to two persons with knowledge of the case.
Negotiations in the case have reached a critical stage, with an indictment possible though the bank is seeking a deferred prosecution agreement, which would be less damaging. The outcome depends on how prosecutors, the U.S. State Department and the U.S. Treasury Department agree to treat the matter, the sources said.
Founded in 1741, Wegelin is one of Switzerland’s oldest banks. An indictment of it would be a blow to a national tradition of banking secrecy that dates back to the Middle Ages. It would be a step forward for a U.S. crackdown on offshore tax evasion by Americans through Swiss banks.
The crackdown started around 2007 with an investigation of UBS AG, Switzerland’s largest bank. It has since spread to the entire Swiss banking industry. Dozens of U.S. clients and at least two dozen Swiss bankers have been charged, in moves that have strained U.S.-Swiss relations.
Albena Bjorck, a spokeswoman for Wegelin, declined to comment on Friday when asked whether the bank was considering the possibility of being indicted. Charles Miller, a Justice Department spokesman, declined to comment.
The latest turn in the Wegelin case comes amid a broad criminal probe by the U.S. Justice Department of 11 Swiss and Swiss-style banks, including Wegelin, suspected of selling offshore tax evasion services to tens of thousands of wealthy Americans. Inquiries, growing out of scrutiny of UBS, are focused on Credit Suisse AG and Basler Kantonalbank among others.
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