The court held that special audit procedures in I.R.C. Section 7611 designed to protect churches’ First Amendment rights do not constrain the IRS’s power to obtain records via third-party summonses in investigating churches.
The court held that special audit procedures in I.R.C. Section 7611 designed to protect churches’ First Amendment rights do not constrain the IRS’s power to obtain records via third-party summonses in investigating churches.
Leave a Reply