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The ATO has published a Decision Impact Statement in relation to the AAT decision in Queensland Harvesters Pty Ltd and FCT  [2009] AATA 351; 2009 ATC 10-088; 72 ATR 301. The case concerned whether the discretion to treat a document as a tax invoice should be exercised, whether a tax shortfall resulted from intentional disregard or recklessness, whether penalty for failure to withhold should be further remitted, whether the AAT was bound to accept an incorrect concession by the Commissioner, and whether residual discretions should be exercised.

For a copy of the Decision Impact Statement, go here


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