Taxpayers' privacy rights hang in the balance in a Supreme Court case challenging the Internal Revenue Service's authority to examine financial documents in third-party investigations.
This post focuses on the recent case of Polselli, et al. v. IRS, Case No. 21-1010 (6th Cir., January 7, 2022). The recent Sixth Circuit’s recent opinion in Polselli, et.
Third-party summonses. Taxpayers, individuals, and companies, alike, should be aware of the Internal Revenue Service’s (“IRS”) power to issue third-party summonses. Even more,.