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Why do we do what we do in drafting deeds paper?

Published on 06 May 10 by SOUTH AUSTRALIAN DIVISION, THE TAX INSTITUTE

This paper covers:

  • the settlor and the settled sum
  • the trustee
  • irrevocable settlement
  • exclusion of maintenance and accumulation power
  • the trust fund
  • the distribution date
  • the beneficiaries
  • entitlements of the beneficiaries
  • definition of income
  • authorised investments
  • mandatory investments
  • power to carry on business
  • exclusion of liability of beneficiaries
  • decisions on corporate trustees
  • amendment of deed
  • the use of precedents.

Author profile:

Author Photo - Anthony Slater CTA
Anthony Slater CTA
Tony Slater QC, FTIA, has represented both taxpayers and the Commissioner in GST disputes in appellate courts, from the time the tax was introduced. Many of the cases in which he has appeared have concerned the scope of the “supply” on which GST is levied. He is a longstanding member of the Institute and a frequent speaker at its conferences. Current at 21 October 2016 Click here to expand/collapse more articles by AH (Tony) SLATER.
 

This was presented at 2010 South Australian Convention.

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Why do we do what we do in drafting deeds?

Author(s):  AH (Tony) SLATER

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