The Textron Case & Attorney Work-Product Privilege

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Earlier this year, the 1st Circuit stymied the IRS in its ongoing effort to attack aggressive corporate tax shelters. In a sharply divided 2-1 panel ruling, the court determined that internal documents of Rhode Island-based Textron didn’t have to be given to the IRS because they are protected by the attorney work-product privilege. In-House Legal host, Paul D. Boynton, Esq., welcomes Attorney Brian Bixby of Burns & Levinson, to help assess the important issues in the Textron case, including the scope of the how much information companies need to divulge to the IRS and perhaps other government regulators.

The Textron Case & Attorney Work-Product Privilege

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The Textron Case & Attorney Work-Product Privilege
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