The D.C. Circuit on Friday ruled that IRS documents on settlement strategies in tax shelter cases are exempt from disclosure under the Freedom of Information Act. Mayer Brown v. IRS, No. 08-5143 (D.C. Cir. Apr. 17, 2009). The D.C. Circuit affirmed the district court's ruling that IRS need not disclose information on the settlement of lease-in/lease-out (LILO) tax shelters.



