Published on 01 Aug 02
by "TAXATION IN AUSTRALIA" JOURNAL ARTICLE
Mansfield J's decision in P & G Rocca Pty Ltd v Commissioner of Taxation (2002) FCA 732 concerned particular aspects regarding when an outgoing is deductible under s 51(1) of the 1936 Act or s 8-1of the 1997 Act.
Daniel is a Director at Greenwoods & Herbert Smith Freehills Pty Limited, with over 15 years of tax adviser experience. Daniel advises on a wide range of corporate tax issues, particularly within the property construction and development, property funds management, banking and finance and media sectors. One of Daniel's key areas of expertise is the tax consolidation regime, and the various issues that arise in M&A transactions.
- Current at
10 April 2017