Published on 27 Jul 01
by THE TAX INSTITUTE
The central theme of this paper is when should the Commissioners be bound by what they have said, either publicly or to a particular taxpayer in relation to that taxpayers affairs.
Mark is a Queen’s Counsel with chambers in Brisbane and Sydney. He has appeared in many anti-avoidance cases Australia-wide for taxpayers and for the Commissioner.
- Current at
30 August 2017