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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:

Author Photo - Andrew O'BRYAN
Andrew O'BRYAN
Andrew O’Bryan FTIA is the Head of Taxation, Superannuation, and Family Business and Wealth Management Practice Groups at Hall and Wilcox. Andrew provides advice on the application of a wide range of taxation matters including income tax, FBT, CGT, tax audits, structuring and restructuring of business and transactions, superannuation, state equivalent tax regimes, retirement planning, business succession, estate planning, liquidations and reconstructions, and corporatisation and privatisation.
Current at 11 March 2009
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Andy MILIDONI
Andy is a Solicitor at Hall & Wilcox Lawyers.
Current at March 2004 Current at 19 November 2004 Click here to expand/collapse more articles by Andy MILIDONI.

 

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