Opinion · Court of Appeals for the Fifth Circuit

United States of America and William G. Gibson, Special Agent, Internal Revenue Service v. George Finley

434 F.2d 596

Type
Opinion
Court
Court of Appeals for the Fifth Circuit
Jurisdiction
Federal
Date
1970-12-10
Topic
general

PER CURIAM: This appeal arises from an order of the district court enforcing an Internal Revenue Service summons served upon the appellant, George Finley, an attorney-at-law. The summons was issued in relation to the tax liability of one of appellant’s *597 clients for the tax years 1962-1965, and it required appellant to appear and testify before a special agent of the Internal Revenue Service. Although appellant appeared in response to the summons, he refused to answer any questions, whereupon the enforcement proceeding below was commenced on behalf of the United States pursuant to Title 26 U.S.C.A. §§ 7402 (b), 7604. The government’s petition alleged that the summons was issued and served as part of an investigation being conducted to locate assets out of which to collect the income tax liability of appellant’s client for the tax years in question. In response to a show cause order of the district court, appellant asserted that there was criminal and civil litigation pending against his client and that under such circumstances, any questions propounded to him were subject to the attorney-client privilege.

Citator

UpLaw has not yet analyzed United States of America and William G. Gibson, Special Agent, Internal Revenue Service v. George Finley. The absence of a flag is not a finding that it is good law.

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