At this time of year we are all concerned about dealing thoroughly with Div 7A issues. This paper covers the key practical problems that have arisen and are worthwhile keeping in mind and should be considered to ensure that the past is not repeated:
Kaitilin is a lawyer in the market-leading taxation practice of Arnold Bloch Leibler. Kaitilin has acted on a variety of high-
profile and complex tax audits and disputes with the ATO, advising clients on all stages of the dispute process, including
negotiation outcomes with the ATO. Kaitilin advises a range of clients, including high net wealth individuals, some of
Australia's largest family groups and public companies. She has also had significant experience preparing and resolving
voluntary disclosures on behalf of clients, both as part of, and separately from, Project DO IT.
Paul Sokolowski CTA
Paul is a Partner at Arnold Bloch Leibler and the Practice Leader of the firm’s taxation practice. He provides strategic
and technical advice to a diverse range of Australian and international clients, including high net worth individuals, some
of Australia’s largest family groups and public companies. Paul regularly acts in significant and complex audits, disputes
Current at 28 July 2016
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