United States of America Plaintiff-Appellee, v. Richard A Frederick, Defendant-Appellant, and Randolph W. Lenz, Karin Lenz, and KCS Industries, Inc., Intervening-Defendant-Appellants.(friend-of-the-court brief filed June 18, 1999 by Tax Executives Institute with the U.S. 7th Circuit Court of Appeals)(Brief Article)
From: Tax Executive
|
Date: 7/1/1999
A friend-of-the-court brief filed with the U.S. 7th Circuit Court of Appeals on June 18, 1999 by Tax Executives Institute (TEI) is reprinted. TEI in its brief states that it supports the rehearing petition in a case involving the attorney-client and work-product privileges in the context of a business tax audit. TEI argues that documents created while preparing tax returns should not be subject to IRS examination.
IN THE UNITED STATES COURT OF APPEALS FOR THE SEVENTH CIRCUIT
Nos. ...
COPYRIGHT 1999 Tax Executives Institute, Inc.
This material is published under license from the publisher through the Gale Group, Farmington Hills, Michigan. All inquiries regarding rights should be directed to the Gale Group.
For permission to reuse this article, contact Copyright Clearance Center.