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The ABC of tax when trading in H2O.

Publication date: 01 Nov 07 | Source: INSIDE TAX

Issue: November 2007

Pages: pp.2-5

When many industries reliant on water, particularly agriculture, and with seemingly fewer sources from which to obtain it, those with existing rights to take and use water hold what are becoming increasingly valuable assets. The article examines the potential tax consequences of creating, acquiring, holding, transferring and leasing water rights.

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Author profiles

Primrose Mroczkowski
Primrose is a Senior Manager in the Deal Advisory Tax group at KPMG specialising in stamp duty. Prior to joining KPMG, Primrose was a Senior Associate in the stamp duty team at Herbert Smith Freehills. Primrose has been in legal practice for over 12 years and has worked in a number of law firms in Melbourne including Corrs Chambers Westgarth and Macpherson and Kelley Lawyers, practising in the area of revenue law. Primrose also spent 7 years as a lecturer at Monash University lecturing in tax and commercial law and has published a number of articles. Practising in her specialist areas of stamp duty and land tax across all jurisdictions, Primrose has been involved in a range of transactions including mergers and acquisitions, corporate restructures, property trust floats, infrastructure acquisitions, PPPs, and wholesale unit trust scheme registrations. Primrose is a member of the Law Institute of Victoria and a committee member on The Tax Institute Victorian State Taxes Committee. - Current at 01 February 2016
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Craig Milner CTA
Photo of author, Craig MILNER Craig is a Partner in the Allens Tax group, with more than 20 years of experience in providing tax advice. He is a lead taxation lawyer in transactions and projects for clients including in the funds, real estate, finance and energy sectors. He advises on mergers and acquisitions, group restructures, inbound and outbound investment and exit tax issues, fund creation and managed funds structures, property development structures, workouts and insolvency transactions, securitisation programmes and associated note issues, financing arrangements and general corporate tax issues. - Current at 12 June 2019
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