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Corporate Tax

05 June 2020
Andrew Roberson IRS flexes its administrative summons power in recent tax case

USA - McDermott Will & Emery

A recent US Court of Appeals for the 10th Circuit decision underlines the Internal Revenue Service's ability to obtain information that it needs to examine taxpayers' returns using its powerful summons tool. To be successful in defending against a summons, taxpayers must ensure that they have a strong case – for example, non-disclosure based upon a privilege claim.

Authors: Andrew Roberson, Kevin Spencer
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