USA v. Sanmina Corporation
Case Number:
18-17036
Court:
Nature of Suit:
Companies
Sectors & Industries:
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August 07, 2020
Co. Waived Privilege But IRS Can't See Atty Memos: 9th Circ.
The IRS will be unable to access the entire work product produced by the in-house counsel of a company that claimed a $503 million tax deduction, even though the company waived its attorney-client privilege, the Ninth Circuit said Friday.
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February 12, 2020
Biz Tells 9th Circ. Doc Privilege Not Waived In $503M Tax Bout
An electronic manufacturing services company did not waive its work-product or attorney-client privileges for internally prepared memos related to $503 million in stock deductions because those documents were shared to obtain legal advice, it recently told the Ninth Circuit.
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September 11, 2019
Atty Memos Protected In $503M Tax Dispute, 9th Circ. Told
A California federal court order requiring an electronic manufacturing services company to fork over attorney memos to the U.S. in a $503 million tax dispute should be reversed since the company never waived attorney-client privilege, the Ninth Circuit has heard.
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March 18, 2019
Doc Privilege Not Waived In $503M Tax Bout, 9th Circ. Told
A federal court erred when it ordered a California electronic manufacturing services company to produce certain documents in a $503 million tax dispute because the company never waived its attorney-client or work-product privileges, the company has told the Ninth Circuit.