ACC filed an amicus curiae brief with the US District Court for the District of Minnesota on June 30 in support of a petition to quash an IRS summons in Wells Fargo v. US (Case No. 0:10-mc-57-JRT-JJG). ACC argues that the IRS attempts to obtain tax accrual workpapers which contain legal analyses of Wells Fargo’s in-house lawyers poses a threat to work product privilege.
Read the brief:
ACC Amicus, Well Fargo v. US, 6/30/11