Law360, New York (October 09, 2009) -- An en banc ruling in Textron Inc.'s battle with the Internal Revenue Service over access to the company's tax accrual work papers could present the U.S. Supreme Court with an opportunity to clarify the reach of the work product doctrine.
The company plans to petition the Supreme Court over an Aug. 13 en banc ruling in the U.S. Court of Appeals for the First Circuit that some attorneys say was...


