NY State Bar Association Task Force on Attorney-Client Privilege comments on section 8C2.5 of the US Sentencing Guidelines.
ABA letter to the US Sentencing Commission regarding waiver of attorney-client privilege.
Follow up pursuant to the testimony of the Coalition to Preserve the Attorney Client Privilege: Request for changes to the commentary language of Section 8C2.5 regarding waiver of the attorney-client privilege.
The Coalition to Preserve the Attorney-Client Privilege's letter to the US Sentencing Commission regarding the waiver of attorney-client privilege.
ACC Comment letter voicing its perspectives regarding the differences in requirements promulgated by regulatory agencies such as the SEC in the United States and lawmakers in other countries.
California Bar Comment Letter on Proposed Amendments to the
Sentencing Guidelines for the United States Courts (71 FR 4782-4804)
Statement of The American Chemistry Council, The Association of Corporate Counsel, and The National Association of Manufacturers
Before the United States Sentencing Commission, November 15, 2005,
Washington, DC. Regarding the Need to Amend the Commentary to Section 8C2.5, Regarding Waiver of the Attorney-Client Privilege and the Work Product Doctrine
STATEMENT OF THE ASSOCIATION OF CORPORATE COUNSEL (ACC)
BEFORE THE UNITED STATES SENTENCING COMMISSION
Testimony presented by Linda Madrid, 3/17/04
Comments of the Association of Corporate Counsel on The Report of the Ad Hoc Advisory Group on the Organizational Sentencing Guidelines (Proposed Amendments to Chapter Eight, United States Sentencing Guidelines)
A brief discussing the importance of the attorney-client privilege in the corporate context.