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This Taxpayer Alert, which was released on 21 May 2009, concerns arrangements whereby a taxpayer with a current or future capital gain attempts to artificially create an offsetting capital loss by becoming a default beneficiary for a discretionary trust (for no consideration) and then transferring their interest in that trust (for no consideration).

For a copy of TA 2009/14 go here.

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Eg. TD 2005/D52 ALL words EXACT phrase WITHOUT words Date range
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