Source: Taxation In Australia Journal Article
Published Date: 1 Oct 2002
More by Peter Bickford
Issues in tax and trust litigation - Paper 09 Oct 2012
Issues in tax and trust litigation - Presentation 09 Oct 2012
Recent developments in the Commissioner's use of his Special Recovery Powers - Paper 01 Jun 2012
The Hogan dilemma: how can you go with a DPO? - Journal 01 Nov 2010
Limits on the Commissioner's statutory garnishee power - Journal 01 Oct 2010
Tips and traps of distributions - Paper 14 Aug 2008
The effect of privative clauses in the taxation context - Journal 01 Mar 2006
Director's penalties - an overview and some recent developments - Journal 01 Mar 2005
Disclaimer in the taxation context - Journal 01 Apr 2004
Sorry, this is subscriber only content.
To gain access to this material and much more - Subscribe Now.
(Note: Members can access Taxation in Australia journal articles without a Tax Knowledge Exchange subscription - please log in to access).
Already a Subscriber? Login now
Details
The material is copyright. Apart any fair dealing for the purpose of private study, research criticism or review, as permitted under the copyright Act, no part may be reproduced by any process without written permission from The Tax Institute.
Unless expressly stated, opinions are not that of The Tax Institute, which accepts no responsibility for the accuracy of any of the information contained within it.
The Tax Institute
(ABN 45 008 392 372 (PRV14016))
("TTI")
The Tax Institute is a Recognised Tax Agent Association (RTAA) under the Tax Agent Services Regulations 2009.
All materials provided on this site are protected by copyright and are owned by or licensed to TTI.
Except as expressly permitted by TTI or the copyright owner, any person or company who uses this site must not use, reproduce, redistribute, retransmit, publish or otherwise transfer, or commercially exploit, the materials or any information, software or other content, in whole or in part, which is available through this site.
Tags