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Tax Lawyer, Vol. 61, No. 2 NOTES 621NOTELawyers Versus Auditors: Disclosure to Auditors and Potential Waiver of Work-Product Privilege in United States v. TextronIn 2002, the Service modified its traditional policy of restraint in seeking tax accrual workpapers relating to corporate taxpayers’ potential tax liabilities on audited financial statements.1 This was an expansion of the Service’s previoou policy under which workpapers were only requested in “unusual circumstannces.2 However, to curb “...