Published on 01 Oct 06
by "TAXATION IN AUSTRALIA" JOURNAL ARTICLE
The very recent decision of the Federal Court of Tamberlin J in Nemesis Australia Pty Limited v FCT 2005 ATR 4881 has explored a particular point of law which has been concerning trust lawyers for a great many years.
David Raphael CTA
David practised as a Solicitor for more than 30
years and since 1995 has been an active member of the NSW
Bar. While a Solicitor he specialised in revenue litigation and other
revenue-associated matters and was the instructing solicitor in
several high-profile payroll tax cases such as the Terry Sheilds case.
He appeared as Counsel in the Denham Constructions case. In
stamp duty he was Counsel in the most important land rich case of
Tsai Mei-Lan Lee. While a solicitor he was the speaker on Australian
revenue law at meetings of the UIA in Quebec, Switzerland
and France in various years as well as for the International Bar
Association in Singapore in 1987. Current at 20 February 2012
Click here to expand/collapse more articles by David KL RAPHAEL.