If any officer or employee of the United States knowingly, or by reason of negligence, inspects or discloses any return or return information with respect to a taxpayer in violation of any provision of section 6103, such taxpayer may bring a civil action for damages against the United States in a district court of the United States.
The return of the decedent shall, upon written request, be open to inspection by or disclosure to -- (A) the administrator, executor, or trustee of his estate, and (B) any heir at law, next of kin, or beneficiary under the will, of such decedent, or a donee of property, but only if the Secretary finds that such heir at law, next of kin, beneficiary, or donee has a material interest which will be affected by information contained therein.
Conservation Easement Deduction Denied Due to Mortgages
Extinguishment Ratio Precludes Tax Deduction
Improper Caregiver Payments Taxable
Final Regs on Private Foundation Program-Related Investments