U.S. v. SANMINA CORPORATION

No. C 15-00092 WHA.

UNITED STATES OF AMERICA, Petitioner, v. SANMINA CORPORATION AND SUBSIDIARIES, Respondent.

United States District Court, N.D. California.

October 4, 2018.

Editors Note
Applicable Law: 26 U.S.C. § 7402
Cause: 26 U.S.C. § 7402 IRS: Petition to Enforce IRS Summons
Nature of Suit: 870 Taxes
Source: PACER


Attorney(s) appearing for the Case

United States of America, Petitioner, represented by Amy Talburt Matchison , Department of Justice Tax Division, Ben Franklin Station.

Sanmina Corporation and Subsidiaries, Respondent, represented by Michael Clifford Lieb , Ervin Cohen and Jessup LLP.


ORDER AND FINDING RE IN CAMERA REVIEW OF DOCUMENTS WITHHELD BY SANMINA

INTRODUCTION

In this action to enforce an IRS summons, petitioner seeks production of memoranda that respondents claim are protected by the attorney-client privilege and attorney work-product doctrine. By request from our court...

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