Following up on yesterday's post on United States v. Textron, No. 07-2631 (1st Cir. Jan. 21, 2009):
- Bloomberg: Textron Can Keep Tax Paperwork From Agency, Appeals Court Rules, by Ryan J. Donmoyer
- National Law Journal: A Company's Tax Accrual Work Papers Are Protected Work Product, by Marcia Coyle
- New York Times: IRS Is Thwarted as Court Shields Textron Tax Papers, by Lynnley Browning
- Reuters: U.S. Court Rules Textron Can Keep Paperwork From IRS
- Wall Street Journal: IRS Loses Round in Textron Case, by Jesse Drucker




