shopping_cart

Your shopping cart is empty

Q & A: Reasonably arguable position papers - how to be wrapped in a RAP

Published on 01 Feb 02 by "TAXATION IN AUSTRALIA" JOURNAL ARTICLE

Frequently taxation advisors are called upon to prepare or review a reasonably arguable position ("RAP") paper that has been authored for the purpose of eliminating penalites on a tax shortfall where the law is unclear and the taxpayer wishes to take the more advantageous position.

Author profiles

Andrew O'Bryan CTA
Andrew is a Partner at Hall & Wilcox Lawyers and provides advice on the application of a wide range of taxation. He has substantial knowledge of taxation and commercial practice and advises his clients on income tax, capital gains tax, tax audits and reviews, fringe benefits tax, business structuring and transactions, liquidations and reconstructions, superannuation, retirement planning, business succession, estate planning, and philanthropy. Andrew advises accounting and legal firms on their clients’ affairs. He also draws clients from industry, commerce and high-net-worth private family groups. One of his main interests is advising private business owners on the transition of management and control of family businesses to the next generation. Andrew has been recognised in the The Best Lawyers in Australia in Tax Law every year since 2014 and is a leading tax lawyer in Victoria in Doyle's Guide to the Australian Legal Profession. - Current at 12 November 2019
Click here to expand/collapse more articles by Andrew O'BRYAN.
Andy MILIDONI
Andy is a Solicitor at Hall & Wilcox Lawyers.
Current at March 2004
Click here to expand/collapse more articles by Andy MILIDONI.

 

Copyright Statement
click to expand/collapse