OPR Webinar Follow-up - Responding to Subpoena for Client Records
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OPR ResourcesCircular 230 Tax Professionals Circular No. 230 (Rev. 6-2014) Latest News and Guidance from OPR |
Issue Number: 2018-02Inside This IssueOPR Webinar Follow-up - Responding to Subpoena for Client Records Hello and thank you for your participation in:
Webinar: The Office of Professional Responsibility – What You Need to Know About Practicing Before the IRS (rebroadcast) Date(s): Wednesday, November 8, 2017 and/or Wednesday, January 17, 2018
Director Stephen Whitlock, Office of Professional Responsibility, requested the following response be shared with all participants:
During the webinar, several questions were received about the appropriate response to a subpoena for client records – in a situation where the client is a party in civil litigation regarding a non-tax matter.
The context of the questions suggests:
In cases like this, a tax return preparer should not disclose, pursuant to the subpoena, client tax returns or the associated work papers the preparer used or obtained in connection with the preparation of the tax returns.
Clarification:
CAVEAT: A person served with a subpoena should consider obtaining advice from a lawyer about how to handle and respond to the subpoena, as the information provided above should not be relied on as a definitive answer for all facts, circumstances, and the rules or legal requirements of the locality in which the subpoena was issued.
Information about Section 7216 can be found on IRS.gov:
Section 7216 Information Center Section 7216 Frequently Asked Questions
More news, information and updated OPR guidance can be found on IRS.gov:
The Office of Professional Responsibility (OPR) At-A-Glance OPR Frequently Asked Questions (FAQ’s) Subscribe to News and Updates from OPR OPR Webinar – IRS Video Portal (archive)
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