Published on 27 May 14
by NEW SOUTH WALES DIVISION, THE TAX INSTITUTE
This presentation covers:
- a brief description of LPP and its particular relevance to taxpayers and their advisors
- contentious areas of LPP
- how (not) to waive LPP
- claiming LPP when dealing with the Commissioner
- the accountants’ concession and board document privilege.
Thomas Arnold, CTA, is a commercial barrister who specialises in tax law. He is regularly retained by taxpayers, professional advisors, the Commissioner of Taxation and the Tax Practitioner’s Board. He has been briefed to advise and appear in a broad range of tax matters. His advisory practice involves assisting taxpayers with developing audit strategies, responding to requests for information, claims for legal professional privilege and challenges to compulsive notices. He holds a Masters of Tax Law from the University of Sydney and a Chartered Tax Advisor qualification from the Tax Institute. He is a member of the Tax Institute’s Dispute Resolution Committee.
- Current at
05 August 2020