An FCIB spokeswoman said the bank intended to "cooperate with authorities in accordance with the respective laws of all jurisdictions involved" and to comply with legal and regulatory requirements. The bank was working with Wells Fargo to understand the court order, she said in a prepared statement.
FCIB, based in Barbados, has branches in 18 Caribbean countries. According to its website, the bank was formed in 2002 by Britain's Barclays Bank and Canadian Imperial Bank of Commerce (CIBC). In 2006, CIBC became the bank's majority shareholder, according to the website.
CIBC did not immediately reply to requests for comment.
FCIB does not have U.S. branches but it has a correspondent account in the United States at Wells Fargo, Justice said.
The IRS uses 'John Doe' summonses to get information on possible tax law breakers whose identities are unknown. "This John Doe summons directs Wells Fargo to produce records identifying U.S. taxpayers with accounts at FCIB and other banks that used FCIB's correspondent account," the statement said.
In a declaration filed to the court, a senior IRS revenue agent said many FCIB customers in the John Doe class may have been under-reporting income, evading income taxes, or otherwise violating the internal revenue laws of the United States.
The FCIB case stemmed from information from 129 customers of the Barbados bank and its predecessor banks who took part in an IRS voluntary disclosure program, the Justice Department said.
In a similar case in January 2013, a federal court allowed the IRS to serve a 'John Doe' summons on Switzerland's UBS AG, seeking records of Swiss bank Wegelin & Co.'s U.S. correspondent account at UBS.
That action was part of a wide-ranging U.S. government effort to crack down on tax avoidance by Americans.
Wegelin, Switzerland's oldest bank, in March agreed to pay nearly $58 million in penalties and said it would shut its doors after admitting to helping wealthy Americans evade taxes.
The serving of 'John Doe' summons on correspondent accounts is likely to become more common as the government widens its tax inquiries beyond Switzerland, Luxembourg and Liechtenstein, said William Sharp, a lawyer who represents taxpayers.
(Editing by Kevin Drawbaugh, Chris Reese and Andrew Hay)
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