UNITED STATES v. BEATTIE

No. 1305, Docket 75-6041.

541 F.2d 329 (1976)

UNITED STATES of America and Donald M. Cerra, Special Agent of the Internal Revenue Service, Petitioners-Appellees, v. John L. BEATTIE, Jr., Respondent-Appellant.

United States Court of Appeals, Second Circuit.

September 13, 1976.


Attorney(s) appearing for the Case

Sydney R. Rubin, Rochester, N. Y., for respondent-appellant.

Scott P. Crampton, Asst. Atty. Gen., Gilbert E. Andrews, Jr., Robert E. Lindsay, Daniel F. Ross, Attys., Tax Div., Dept. of Justice, Washington, D. C. (Richard J. Arcara, U. S. Atty., W. D. N. Y., Buffalo, N. Y., of counsel), for petitioners-appellees.

Before MOORE, FRIENDLY and VAN GRAAFEILAND, Circuit Judges.


PER CURIAM:

Our opinion in this case, filed on August 18, 1975, 522 F.2d 267, generally affirmed an order of the District Court for the Western District of New York enforcing an Internal Revenue Service summons directing taxpayer Beattie despite his claim of self-incrimination to produce various papers described in the summons, 522 F.2d at 268, which papers he had retrieved from his accountant, Arthur Robeson.1<...

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