United States Seventh Circuit

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US v. BDO SEIDMAN, 02-3914/5

Clients of a public accounting and consulting firm were properly denied the right to intervene in an IRS enforcement action against the firm, as the clients had no colorable claim of privilege under 26 U.S.C. section 7525, to prevent disclosure of documents. (Amended opinion)

Appellate Information

  • Decided 07/23/2003
  • Published 09/30/2003



  • United States Seventh Circuit


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