Would your client rather give their documents to the IRS, the New York Times, or both? This panel will discuss the rules protecting communications from disclosure, including attorney-client, work product, and I.R.C. section 7525 privileges. We will demonstrate application of those privileges using real-world examples, touch on hot topics, and give you best practices to use in your disputes with taxing authorities.
Paul Butler, Kostelanetz & Fink LLP, Washington, DC
Abbey Garber, Thompson & Knight, Dallas, TX
Peter K. Reilly, Special Counsel, IRS Office of Associate Chief Counsel (Procedure and Administration), Washington, DC
Melissa Wiley, EY, Washington, DC
Click here to register.