TPP | United States v. Adlman
Although the attorney-client privilege has long been recognized under common law, there is no corresponding taxpayer-accountant privilege [other than a limited privilege for “tax advice” in some...
View ArticleICYMI | United States v. Adlman
Although the attorney-client privilege has long been recognized under common law, there is no corresponding taxpayer-accountant privilege [other than a limited privilege for “tax advice” in some...
View ArticleCurrent Overview of the IRS’s Whistleblower Program
Section 7623 of the Internal Revenue Code (IRC) allows for the payment of financial awards to those who blow the whistle on individuals or corporations that have deliberately underreported or...
View Article
More Pages to Explore .....