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Tax Lawyer, Vol. 54, No. 3 THE TAX ADVISER’S PRIVILEGE 509 509 THE TAX ADVISER’S PRIVILEGE IN TRANSACTIONAL MATTERS: A SYNOPSIS AND A SUGGESTION Bruce Kayle* “[I]n the area of taxation, it is often difficult to determine where business ends and the law begins. . . .” 1I. INTRODUCTION Along with the right to remain silent, the inviolate secrecy of communications between attorney and client and of the contents of the attorney’s files is among the most widely known elements of our legal system. It...

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