WIEMERSLAGE v. U.S.

No. 86-2665.

838 F.2d 899 (1988)

Roland WIEMERSLAGE, V. James Grieco, James Onion, and William L. Sundermeyer, Plaintiffs-Appellants, v. UNITED STATES of America, James Baker, Secretary of the Treasury, and Lawrence Gibbs, Commissioner of the Internal Revenue Service, Defendants-Appellees.

United States Court of Appeals, Seventh Circuit.

Decided January 20, 1988.


Attorney(s) appearing for the Case

Gregory O'Duden, Nat. Treasury Employees Union, Washington, D.C., for plaintiffs-appellants.

Robert A. Bernstein, Chief Appellate Sec., Tax Div., Washington, D.C., for defendants-appellees.

Before WOOD, and RIPPLE, Circuit Judges, and FAIRCHILD, Senior Circuit Judge.


RIPPLE, Circuit Judge.

This case presents the question of whether the antidisclosure section of the Internal Revenue Code (the Code), 26 U.S.C. § 6103, precludes the Internal Revenue Service (the IRS) from contracting out tax return processing functions. The appellants, residents of Illinois, request a declaratory judgment that the IRS illegally contracted out for processing certain estimated tax returns to a bank in...

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