Published on 25 May 07
by NEW SOUTH WALES DIVISION, THE TAX INSTITUTE
Not every taxpayer who has a dispute with the ATO will take their dispute to the courts. It is important to understand what is involved in the process to be able to make commercially rational decisions in relation to tax disputes including:
- PS LA 2007/1
- Defining the issues
- Particulars in cases
- Funding under the test case program
David is admitted to practice in New South Wales, Queensland, Victoria, the Northern Territory, the Australian Capital Territory, New Zealand, Papua New Guinea and the Courts of Dubai International
Financial Centre. He was first appointed Queen’s Counsel in 1986 and holds that office in all the above Australian jurisdictions. He currently practices in Sydney (Ground Floor Wentworth Chambers) and Brisbane (Sir Harry Gibbs Chambers) with a principal focus on revenue law generally. He has acted for Commonwealth and State Governments as well as individuals and corporations. He has had a long connection with the Taxation Institute of Australia including being its President from 1993 to 1995 and President of the Asia Oceania Tax Consultants Association from 1996 to 2000.
Current at 17 May 2008 Current at 07 August 2008
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