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Tax risks in acquiring an entity from a tax consolidated group paper

Published on 26 Mar 14 by NATIONAL DIVISION, THE TAX INSTITUTE

This paper covers:

  • key tax liability issues where an entity is acquired out of a tax consolidated group
  • interaction with share sale agreement
  • proposed changes.

Author profile:

Author Photo - Ian Kellock CTA
Ian Kellock CTA
Ian, CTA, is a Tax Partner at Ashurst and has extensive experience in Australian corporate and international tax, advising Australian and foreign-owned banking and financial services groups. Ian’s practice is primarily focused on due diligence and structuring for mergers, acquisitions and divestments, financing transactions and group reorganisations. Ian has significant recent experience advising on all income tax aspects of financing and refinancing transactions and asset and debt reconstruction projects. Current at 17 March 2016 Click here to expand/collapse more articles by Ian KELLOCK.
 

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Independent review and dispute resolution

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Alternative dispute resolution and the Australian Taxation Office

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Commissioner's address

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