The Court adopted the three-prong test in Grosso v. United States, and held that an attorney cannot assert the privilege against self-incrimination to withhold client trust documentation sought in a State Bar investigation. However, the State Bar must have a compelling reason to force disclosure of tax records.
Crow, Lucy, "Agwara v. State Bar of Nev., 133 Nev. Adv. Op. 96 (Dec. 7, 2017) (en banc)" (2017). Nevada Supreme Court Summaries. 1106.