IRS Affidavit For Coinbase
IRS Affidavit For Coinbase
IRS Affidavit For Coinbase
1 DAVID A. HUBBERT
Acting Assistant Attorney General
2
JEREMY N. HENDON (ORBN 982490)
3
AMY MATCHISON (CABN 217022)
4 Trial Attorneys
United States Department of Justice, Tax Division
5 P.O. Box 683, Ben Franklin Station
Washington, D.C. 20044
6 Telephone: (202) 353-2466
(202) 307-6422
7
Fax: (202) 307-0054
8 E-mail: Jeremy.Hendon@usdoj.gov
Amy.T.Matchison@usdoj.gov
9 Western.Taxcivil@usdoj.gov
10 BRIAN J. STRETCH (CABN 163973)
United States Attorney
11
THOMAS MOORE (ALBN 4305-O78T)
12 Chief, Tax Division
COLIN C. SAMPSON (CABN 249784)
13 Assistant United States Attorney
450 Golden Gate Avenue, 11th Floor
14 San Francisco, California 94102
2 Service (IRS) and am assigned to the IRSs Offshore Compliance Initiatives program. My post of duty
3 is in Phoenix, Arizona.
4 2. The IRS is conducting an investigation to determine the identity and correct federal
5 income tax liability of United States persons who conducted transactions in a convertible virtual
6 currency as that term is defined in IRS Notice 2014-21 for the years ended December 31, 2013, 2014,
7 and 2015.
8 3. Coinbase, Inc., is a United States corporation with its principal place of business in San
9 Francisco, California.
11 Offshore Compliance Initiatives program with a post of duty in Brooklyn Center, Minnesota.
12 5. In furtherance of the investigation for the years ended December 31, 2013, 2014, and
13 2015, in accordance with 26 U.S.C. 7602, on December 6, 2016, a summons was issued directing
14 Coinbase to appear at 450 Golden Gate Avenue, San Francisco, California 94102 on January 9, 2017, at
15 9:00 a.m., and to produce for examination books, records, papers and other data as described in the
18 to Court Order, an attested copy of the summons was served on Coinbase. Pursuant to the agreement of
19 the parties, counsel for Coinbase, Grant P. Fondo, accepted service of the summons on December 8,
20 2016.
21 7. The summons seeks information regarding United States persons who, at any time during
22 the period January 1, 2013, through December 31, 2015, conducted transactions in a convertible virtual
24 8. IRS Notice 2014-21 describes how the IRS applies U.S. tax principles to transactions
25 involving virtual currency. A copy of Notice 2014-21 is attached as Exhibit B. Virtual currencies that
26 can be converted into traditional currency are property for tax purposes, and a taxpayer can have a gain
27 or loss on the sale or exchange of a virtual currency, depending on the taxpayers cost to purchase the
Declaration of David Utzke in Support of
Petition to Enforce Internal
Revenue Service Summons 2
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2 9. Under general tax principles applicable to property transactions, the following virtual
22 11. The IRS maintains various databases with information from filed returns. One such
23 database is the Modernized Tax Return Data Base (MTRDB), which contains some of the information
24 reported on electronically filed tax returns. Capital gain or loss for property transactions (which gains
25 and losses from virtual currency are considered) are reported on Form 8949, which is attached to
26 Schedule D of a Form 1040. The Form 8949 includes a section for the description of the property sold,
27
Declaration of David Utzke in Support of
Petition to Enforce Internal
Revenue Service Summons 3
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1 and this information is captured in the MTRDB and can be queried using search terms. The query is
2 limited to the transactional detail provided by an individual filing a Form 8949. The query results,
3 which include unique taxpayer identification numbers, occurrences of the search term item, and the tax
5 12. In 2013, 122,515,000 returns were electronically filed out of the 147,910,000 total filed
6 returns (approximately 83% of total returns filed were electronically filed). In 2014, 125,821,000
7 returns were electronically filed out of the 149,510,000 total filed returns (approximately 84% of total
8 returns filed were electronically filed). And, in 2015, 128,784,000 returns were electronically filed out
9 of the 150,694,000 total filed returns (approximately 83% of total returns filed were electronically
10 filed).
11 13. The IRS searched the MTRDB for Form 8949 data for tax years 2013 through 2015. I
12 received the results of those searches. Those results reflect that in 2013, 807 individuals reported a
13 transaction on Form 8949 using a property description likely related to bitcoin; in 2014, 893 individuals
14 reported a transaction on Form 8949 using a property description likely related to bitcoin; and in 2015,
15 802 individuals reported a transaction on Form 8949 using a property description likely related to
16 bitcoin.
17 14. In a virtual currency system, a user creates a wallet. A wallet is a digital computer file
18 that contains information used in sending and receiving units of a virtual currency. When the wallet is
19 created, a random wallet address is generated; this is a unique alphanumeric identifier, which is
21 15. A wallet holds any number of public keys with their associated private keys. The public
22 key and private key are conceptually similar to a user ID and a digital signature, respectively. A virtual
23 currency user will electronically send their public key to anyone with whom he or she wants to exchange
24 units of a virtual currency. The public key contains information that verifies the wallet and the private
25 key used to authenticate a transaction. If the transaction is signed by both parties, the transaction is
26 complete. Once the transaction has been confirmed as authentic, it is added to the blockchain.
27 16. All transactions in a virtual currency blockchain can be viewed by the public on any
1 computer connected to the Internet. However, the blockchain transactional history only reveals the date,
2 the time, the amount (denominated in virtual currency), and the wallet addresses associated with a
3 transaction. The blockchain does not identify the actual identities of the wallet owners.
4 17. In order to buy virtual currency, the virtual currency user will have to find some way to
5 transfer traditional currency to someone who already has virtual currency and wishes to exchange it for
6 traditional currency. This exchange can occur with anyone holding a virtual currency, but tends to be
7 handled through businesses called virtual currency exchangers that trade between virtual currencies and
8 traditional currencies. A virtual currency exchanger functions much like an exchanger for traditional
9 currency except it can exchange virtual currency for traditional currency or vice versa.
10 18. Virtual currency exchangers may also provide wallet services, which allow a user to
11 quickly authorize virtual currency transactions with another user through the use of a traditional money
12 account held at the exchanger similar to a margin account held with a stock broker. Wallet accounts are
14 19. Although the blockchain is a public ledger of all virtual currency transactions, the
15 blockchain does not record information that identifies the persons involved in the transaction. The only
16 third parties possessing information relating to virtual currency transactions that identify the persons
17 involved are their exchangers and any intermediaries to the parties to the transaction and their
18 exchangers.
19 20. Coinbase, Inc., is a Delaware corporation that operates a bitcoin wallet and exchange
20 business. Coinbase started business in June 2012 as a digital wallet service. By October 2012, the
21 company launched the ability to buy and sell bitcoin through bank transfers. According to its website
22 (www.coinbase.com), the company currently offers buy/sell trading functionality in 33 countries, with
23 5.9 million customers served, and $6 billion exchanged in bitcoin. Additional research on Coinbase
24 shows that in the 30-day period ending December 14, 2015, Coinbase was the fourth largest exchanger
25 globally of bitcoin into U.S. dollars and the largest exchanger in the U.S. of bitcoin into U.S. dollars.
26 21. As of December 2015, Coinbase had four main products: (1) an exchange for trading
27 bitcoin and fiat currency (funded through bank or wire transfers); (2) a wallet for bitcoin storage and
Declaration of David Utzke in Support of
Petition to Enforce Internal
Revenue Service Summons 5
Case 3:17-cv-01431-JSC Document 1-1 Filed 03/16/17 Page 6 of 10
1 transactions; (3) an application programming interface (API) for developers and merchants to build
2 applications and accept bitcoin payments; and (4) Shift Card, the first U.S.-issued bitcoin debit card.
3 The Shift Card is a VISA branded debit card that enables Coinbase users in the U.S. (currently forty-one
4 states, Washington, D.C., and Puerto Rico) to spend bitcoin anywhere VISA is globally accepted.
5 22. On April 23, 2013, Coinbase registered with FinCEN as a Money Transmitter. As a
6 Money Transmitter, Coinbase is required by the Bank Secrecy Act and FinCEN regulations to develop,
7 implement, and maintain an effective anti-money laundering program that, among other things, includes
8 a process for verifying customer identification. Coinbases user agreement states that all U.S. users who
9 wish to use Coinbases USD Wallet or the Coinbase Exchange, at minimum, must:
19 24. Coinbase offers its users different ways to organize, store, and access their virtual
20 currency. Each Coinbase account includes at least a standard wallet. A wallet is a digital computer file
21 that contains information used in sending and receiving units of a virtual currency. In addition to having
22 a standard wallet account, a Coinbase user can also establish a vault account. A vault account still
23 receives virtual currency, but differs from a standard wallet account in that the virtual currency stored in
24 a vault account cannot be immediately withdrawn any withdrawal would be delayed depending on the
25 additional security steps a user has defined. Further, a vault account may be an individual vault that
26 requires only one persons permission (the Coinbase account user) to withdraw funds, or a group vault
27
Declaration of David Utzke in Support of
Petition to Enforce Internal
Revenue Service Summons 6
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1 that requires confirmations from multiple users when the Coinbase account user requests a withdrawal.
2 25. Regardless of whether a Coinbase user has a standard wallet account or a vault account,
3 Coinbase automatically generates a new wallet address after every transaction. That transaction specific
4 wallet address remains associated with the Coinbase users account forever. Coinbase users can view a
5 complete list of the wallet addresses associated with their account by accessing the Coinbase website.
6 26. The summons, attached as Exhibit A, seeks records that may reveal the identity and
7 transaction activity of Coinbase users, from January 1, 2013 through December 31, 2015, who are U.S.
8 persons. This information may be relevant to the underlying IRS investigation into the identity and
9 correct federal income tax liability of U.S. persons who conducted transactions in a convertible virtual
12 account) records for each account owned or controlled by the user, including the complete user
13 profile, history of changes to the user profile from account inception, complete user preferences,
14 complete user security settings and history (including confirmed devices and account activity), complete
15 user payment methods, and any other information related to the funding sources for the account.
16 a. It is expected that account registration records and the complete user profile
17 should provide the identity of each Coinbase user during the summoned time
19 the Coinbase user and assisting in the determination of whether they are a U.S.
20 person.
21 b. The history of changes to the user profile may identify if a Coinbase user has
22 employed an alias, used a nominee, or some other sort of tactic to disguise his
23 identity after the initial user account setup. This information may be relevant in
24 determining, and verifying, the identity of Coinbase users who are U.S. persons.
25 c. The user preferences, security settings and history may reveal how the account
26 was managed and controlled by the user and any other third parties. This
2 d. A users payment methods may identify sources of funds that may have been
4 and verifying, the identity and transaction activity of Coinbase users who are U.S.
5 persons.
6 28. Request number 2 seeks any records associated with Know-Your-Customer due diligence
7 Coinbase performed on its users that was not produced in response to request number 1. These records
8 may be relevant in determining, and verifying, the identity of Coinbase users who are U.S. persons.
9 29. Request number 3 seeks all powers of attorney, letters of wishes, corporate minutes, or
10 other agreements or instructions records for any account for which the registered Coinbase user gave a
11 third party access, control, or transaction approval authority. These records may be relevant in
12 identifying Coinbase users who have employed an alias, pseudonym, or used a nominee while
13 transacting in virtual currency. In addition, these records may be relevant in determining the identity of
14 the person(s) that controls the account and is initiating transactions involving its assets, and whether they
16 30. Request number 4 seeks all records of account activity, including transaction logs or
17 other records that reflect the particulars of a transaction: the date, the amount, the transaction type, the
18 account post-transaction balance, requests or instructions to send or receive bitcoin, the names or other
19 identifiers of counterparties, and where counterparties transaction through their own Coinbase accounts
20 all available information identifying the users of such accounts and their contact information. It is
21 expected that these records should provide the information necessary to determine the correct federal tax
22 liability of Coinbase users, who are also U.S. persons, whose transaction(s) in virtual currency
23 constituted a taxable event. For example, wallet addresses may be relevant in determining, and
24 verifying, the transaction activity of Coinbase users who are U.S. persons. Moreover, records that
25 identify any counterparty may be relevant in determining whether that party is also a U.S. person, whose
27 31. Request number 5 seeks the records of all payments processed for each merchant for
1 which Coinbase acts as the Payment Service Provider, including the records identifying the user of the
2 wallet charged for each payment processed. In addition, if the wallet charged cannot be identified by
3 Coinbase, then the date and amount of the transaction, and any other information that will enable the
4 merchant to identify the transaction should be provided. These records may be relevant in identifying
5 users who are U.S. persons that have transacted in virtual currency to buy goods and services from
7 32. Request number 6 seeks all correspondence between Coinbase and its users (or any third
8 party that has access to the account) about the account. This information may be relevant in
9 determining, and verifying, the identity of the account user. Moreover, communications pertaining to
10 the account may be relevant to reveal other accounts and U.S. persons involved in virtual currency
12 33. Request number 7 seeks all periodic statements of accounts or invoices (or the
13 equivalent). For example, Coinbase can generate a Cost Basis for Tax Report for its users. These
14 reports and other records may be relevant in determining the federal tax liability of Coinbase users who
15 are U.S. persons who have engaged in virtual currency transactions that have resulted in taxable events.
16 34. Request number 8 seeks all records of payments to and from the Coinbase account user.
17 These records may be relevant in identifying sources of funds used by Coinbase account users in
18 connection with virtual currency transactions. These records may assist in investigating possible tax
19 non-compliance and tax liability of Coinbase users who are U.S. persons. These records may also assist
20 in tracing funds to other sources that may be relevant in determining tax non-compliance and tax
21 liability.
22 35. Request number 9 seeks all exception reports produced by Coinbases AML (Anti-
23 Money Laundering) System and all records related to investigations of those reported exceptions. These
24 records may be relevant in assisting with tax non-compliance investigations by identifying beneficial
25 owners and parties involved in virtual currency transactions conducted through aliases, pseudonyms, or
26 nominees as well as identifying internet protocol and email addresses of U.S. persons. The records
27 sought do not include any suspicious activity reports (SAR) that were ultimately generated as a
Declaration of David Utzke in Support of
Petition to Enforce Internal
Revenue Service Summons 9
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