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The AAT has held that it has no jurisdiction to review a decision by the Commissioner not to transfer to the taxpayer’s running balance account and integrated client account certain PAYG withholding payments made to the credit of the integrated client account of a related, but separate, corporation. The AAT held that there is no provision in the ITAA 1936 Act or the Tax Administration Act 1953 allowing an objection to be made against a decision relating to the transfer or crediting of payments to a taxpayer’s running balance account: Command Recruitment Group (Qld) Pty Ltd and FCT [2008] AATA 619 (AAT, Professor Walker DP, 16 July 2008).

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