Tax Court Excludes for First Time Foreign-Based Documents from Trial Under IRC, 982 of the Code

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Saturday, July 1, 1989
Author: 
Bruce Zagaris
Volume: 
5
Issue: 
7
Abstract: 
On June 13, the United States Tax Court ordered that foreign-based documents could not be presented at trial pursuant to Section 982 of the Internal Revenue Code because the taxpayer had failed to respond to the request by the Internal Revenue Service to produce such documents.