Tracing through land rich entities - CGT and stamp duty interactions for non-residents.
21 May 09 |
WEEKLY TAX BULLETIN
Issue: No 20 2009
Pages: pp. 788-793
Relatively recent changes to both Commonwealth and State taxation laws have altered the landscape for non resident investors that buy or sell equity in entities that hold direct or indirect interests in Australian real property.
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Matthew is a Barrister at Ground Floor Wentworth Chambers. He came to the New South Wales Bar in 2011 following many years as a tax lawyer at leading firms. His practice is focused on acting and appearing for taxpayers and revenue authorities in federal and state tax disputes, and providing tax and duties advice. In addition to his appearance and advisory work, he has extensive experience in resolving federal and state tax disputes prior to litigation.
- Current at
30 August 2017