Published on 01 Apr 02
by "THE TAX SPECIALIST" JOURNAL ARTICLE
Mark Hadassin discusses the treatment of redeemable preference shares following the recently enacted Business Tax System (Debt & Equity) Act 2001
Mark is a partner in the Deloitte International Tax Group in Australia specialising in international tax and infrastructure investment. Mark has over 20 years experience providing advice to major Australian and foreign corporates on domestic and international tax issues. Prior to joining Deloitte in January 2010, Mark spent 2 ½ years as Global Head of Tax at the Babcock & Brown group where he had responsibility for all the group's tax matters.
- Current at
30 May 2017