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Case Comment

Paying the “Traditional Price” of Disclosure: The Third Circuit Rejects Limited Waiver of the Attorney-Client Privilege: Westinghouse Electric Corp. v. Republic of the Philippines, 951 F.2d 1414 (3d Cir. 1991)

Author: Jill A. Hornstein (Washington University School of Law)

  • Paying the “Traditional Price” of Disclosure: The Third Circuit Rejects Limited Waiver of the Attorney-Client Privilege: Westinghouse Electric Corp. v. Republic of the Philippines, 951 F.2d 1414 (3d Cir. 1991)

    Case Comment

    Paying the “Traditional Price” of Disclosure: The Third Circuit Rejects Limited Waiver of the Attorney-Client Privilege: Westinghouse Electric Corp. v. Republic of the Philippines, 951 F.2d 1414 (3d Cir. 1991)

    Author:

Keywords: Corporations, Confidential communications -- Lawyers

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Published on
1993-01-01