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Consolidation developments: The use of “tax cost setting amount” – The never-ending saga paper

Published on 10 Feb 11 by NATIONAL DIVISION, THE TAX INSTITUTE

This paper covers:

  • rights to future income
  • “residual” application of the TCSA – Subsection 701-55(6)
  • The Board of Taxation review of consolidations.

Author profiles:

Andrew De Wijn CTA
Andrew is a Barrister at the Victorian Bar specialising in federal and state tax matters. Prior to joining the Bar he was a solicitor with Greenwoods & Freehills for eight years and worked exclusively in tax. Current at 22 September 2013 Click here to expand/collapse more articles by Andrew DE WIJN.
 
Kenneth Spence CTA-Life
Ken is a Special Counsel in the Melbourne office of Greenwoods & Herbert Smith Freehills. He has been closely involved for many years in advising Australian and foreign-owned listed companies on M&A transactions and has been extensively involved with both clients and tax professional bodies in relation to all aspects of the tax consolidation regime. Ken is a past President of The Tax Institute. Current at 23 August 2016 Click here to expand/collapse more articles by Ken SPENCE.

This was presented at 2011 Financial Services Taxation Conference.

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