In a recent Law360 article, tax partner and tax controversy group co-founder Kat Gregor and tax controversy counsel Elizabeth Smith  explore the tax privilege nuances associated with attorney-client privilege and other relevant analogs that exist to protect client confidentiality. Their article discusses applicable privileges in the tax context, as well as two key exceptions: waiver and the crime-fraud exception. It also examines three recent cases that highlight the practical implications of these exceptions.

To read the full article, please click here.