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U.S. Supreme Court

Case Status

Docket Number

Term

2017 Term

Oral Argument Date

December 06, 2017

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Case Updates

Supreme Court issues favorable decision narrowing the scope of the criminal obstruction provision in tax code

March 21, 2018

The Supreme Court reversed the Second Circuit’s decision and held that to convict a defendant under § 7212(a)’s residual clause, the government must prove that the defendant was aware of a pending tax-related proceeding, such as a particular investigation or audit, or could reasonably foresee that such a proceeding would commence. The Court’s decision narrows the range of activity that could be subject to criminal prosecution and should reduce the risk of selective, discriminatory enforcement.

U.S. Chamber addresses criminal obstruction provision in tax code

September 08, 2017

The U.S. Chamber and National Federation of Independent Business filed an amicus brief urging the Supreme Court to reverse the judgment below, and hold that the Omnibus Clause requires that a defendant have been aware of a specific IRS process and acted with the intent to obstruct or impede it.

Lewis J. Liman, Diana L. Wollman, Nowell D. Bamberger, Jonathan Gifford, and Erica Klipper of Cleary Gottlieb Steen & Hamilton LLP served as co-counsel for the U.S. Chamber of Commerce on behalf of the U.S. Chamber Litigation Center.

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