Published on 22 Feb 07
by QUEENSLAND DIVISION, THE TAX INSTITUTE
This paper covers:
superannuation and bankruptcy clawbacks - the current position
Prentice v Cummins
recent bankruptcy law changes - implications for structures and strategies
the relative effectiveness of alternative structures for asset protection
negative gearing and asset protection
issues with revising structures, eg. FTE, rollovers
the use and limits of superannuation in asset protection.
Greg Cahill CTA
Greg is a partner in Cooper Grace Ward's commercial practice. He has extensive experience in providing commercial and tax related advice to private and corporate clients and gives specialist advice to accountants and other financial service providers on a wide range of direct and indirect tax issues (particularly income and capital gains tax and GST), state taxes and superannuation. Greg also has substantial experience in mergers and acquisitions and corporate and trust restructuring issues. He is a regular speaker at seminars and professional bodies such as the Institute of Chartered Accountants, CPA Australia, The Tax Institute and the Queensland Law Society. Greg has been listed by Best Lawyers Australia for Tax in 2012 and 2013. He has also been listed for Commercial as well as Trusts and Estates in 2013. Current at 07 April 2015
The Tax Institute is a Recognised Tax Agent Association (RTAA) under the Tax Agent Services Regulations 2009.
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