UNITED STATES V. ZOLIN
491 U.S. 554 (1989)
NATURE OF THE CASE: This was an action to enforce a subpoena in a tax investigation and
an appeal from a motion to reveal tapes claimed to be protected by the attorney client
privilege.
FACTS: Tapes that involved the Church of Scientology were sealed as part of the
resolution of a civil action. While doing a tax investigation, the Internal Revenue Service
(P) subpoenaed these tapes. The Church moved to quash the subpoena. P countered this motion
by requesting that the Court conduct an in camera proceeding to determine whether or not the
crime-fraud exception to the attorney-client privilege applied. The IRS argued, among other
things, that the tapes fell within the exception to the attorney-client privilege for
communications in furtherance of future illegal conduct - the so-called 'crime-fraud'
exception - and urged the District Court to listen to the tapes in making its privilege
determination. The court ruled that the tapes need not be produced since they contained
privileged attorney-client communications to which, the quoted excerpts revealed, the
crime-fraud exception did not apply. The court rejected the request that it listen to the
tapes, on the ground that that request had been abandoned in favor of using the agent's
declaration as the basis for determining the privilege question. The Court of Appeals
affirmed because the Government's evidence of crime or fraud must come from sources
independent of the attorney-client communications on the tapes.
ISSUE:
RULE OF LAW:
HOLDING AND DECISION:
LEGAL ANALYSIS:
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