Published on 03 Aug 07
by QUEENSLAND DIVISION, THE TAX INSTITUTE
This paper covers:
legal professional privilege
the access guidelines - content and purpose
the Evidence Act and the High Court's decision in Esso
how the Commissioner administers the Guidelines.
David Bloom QC CTA
David is a Barrister at Seven Wentworth. He
was admitted as a Solicitor of the Supreme Court of New South
Wales in March 1972, was called to the New South Wales Bar in
August 1975 and became one of Her Majesty’s Counsel in 1987.
David is a member of the New York State Bar and the Bar of
England and Wales. Over a career that spans more than 30 years,
David has appeared in some of the most important landmark cases
in taxation law, as well as public law generally. David practises in
all superior court jurisdictions and maintains chambers in both
Sydney and Melbourne. Current at 30 September 2011
The Tax Institute is a Recognised Tax Agent Association (RTAA) under the Tax Agent Services Regulations 2009.
All materials provided on this site are protected by copyright and are owned by or licensed to TTI.
Except as expressly permitted by TTI or the copyright owner, any person or company who uses this site must not use, reproduce, redistribute, retransmit, publish or otherwise transfer, or commercially exploit, the materials or any information, software or other content, in whole or in part, which is available through this site.