When examining a corporate taxpayer, the IRS often seeks special accounting documents called tax accrual workpapers. These workpapers often contain privileged documents, but the IRS does not care. It believes it is entitled to the documents despite that the work product doctrine protects the documents from the IRS\u27s investigation authority. Although the law seems clear, some courts appear to have ignored the law and permitted the IRS to obtain the documents in some cases. Differing results under similar circumstances have made the law less clear. The IRS should stop trying to obtain taxpayers\u27 work product, and the Supreme Court should clear up the law with respect to these documents
A letter report issued by the General Accounting Office with an abstract that begins "Pursuant to a ...
The IRS is authorized, by the use of an administrative summons, to thoroughly inspect a taxpayer\u27...
When a taxpayer files a fraudulent return but amends it before the IRS begins a criminal investigati...
When examining a corporate taxpayer, the IRS often seeks special accounting documents called tax acc...
The struggle between the Internal Revenue Service (IRS) and business taxpayers regarding the discove...
In its rehearing of Textron, the First Circuit has an opportunity to rectify an error and curb unwis...
The broad summoning power of the Internal Revenue Service [IRS] which enables it to examine any docu...
On August 13, 2009, the First Circuit in United States v. Textron Inc. held that tax accrual workpap...
United States of America v. Arthur Young & Company and Amerada Hess Corporation (Docket No. 82-687) ...
Abstract The tax authority has an obligation to ensure that all tax cases are adequately investigate...
Every modern public corporation has obligations of accountability and disclosure to the public and t...
Pursuant to its tax-collecting duty, the Internal Revenue Service (IRS) has the power to issue summo...
This Note argues that creating a tax-crime exception to the privilege against self-incrimination cou...
When a taxpayer plans to undertake a transaction and its tax consequences are unclear, the taxpayer ...
The recent Supreme Court decision in Beckwith v. United States, holding that Miranda does not exten...
A letter report issued by the General Accounting Office with an abstract that begins "Pursuant to a ...
The IRS is authorized, by the use of an administrative summons, to thoroughly inspect a taxpayer\u27...
When a taxpayer files a fraudulent return but amends it before the IRS begins a criminal investigati...
When examining a corporate taxpayer, the IRS often seeks special accounting documents called tax acc...
The struggle between the Internal Revenue Service (IRS) and business taxpayers regarding the discove...
In its rehearing of Textron, the First Circuit has an opportunity to rectify an error and curb unwis...
The broad summoning power of the Internal Revenue Service [IRS] which enables it to examine any docu...
On August 13, 2009, the First Circuit in United States v. Textron Inc. held that tax accrual workpap...
United States of America v. Arthur Young & Company and Amerada Hess Corporation (Docket No. 82-687) ...
Abstract The tax authority has an obligation to ensure that all tax cases are adequately investigate...
Every modern public corporation has obligations of accountability and disclosure to the public and t...
Pursuant to its tax-collecting duty, the Internal Revenue Service (IRS) has the power to issue summo...
This Note argues that creating a tax-crime exception to the privilege against self-incrimination cou...
When a taxpayer plans to undertake a transaction and its tax consequences are unclear, the taxpayer ...
The recent Supreme Court decision in Beckwith v. United States, holding that Miranda does not exten...
A letter report issued by the General Accounting Office with an abstract that begins "Pursuant to a ...
The IRS is authorized, by the use of an administrative summons, to thoroughly inspect a taxpayer\u27...
When a taxpayer files a fraudulent return but amends it before the IRS begins a criminal investigati...