Notably, Section 6103 is typically interpreted broadly by courts. Section 6103 provides invaluable privacy protections in the context of Private Letter Rulings (“PLR”), especially for taxpayers who utilize complex tax planning.
Read MoreNotably, Section 6103 is typically interpreted broadly by courts. Section 6103 provides invaluable privacy protections in the context of Private Letter Rulings (“PLR”), especially for taxpayers who utilize complex tax planning.
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