requirements for a valid assessment - Futuris case - alternative assessments - nil assessments
consequences of an assessment - creation of a recoverable debt - inability to challenge other than by objection - s175 - s177
amended assessments - time limits - objections.
Richard Norton CTA
Richard has been a Partner at Norton & Smailes, Tax Lawyers, since 1994. Richard practises in the area of income tax, duties and other revenue law and provides advice to corporate clients, accounting firms and law firms. Richard has been involved in litigating various tax and duty cases in the SAT, Supreme Court, AAT, Federal Court and High Court and has delivered and authored numerous papers and articles for The Tax Institute, the Law Society WA and other professional organisations and publications. Current at 05 February 2016
The Tax Institute is a Recognised Tax Agent Association (RTAA) under the Tax Agent Services Regulations 2009.
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