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Current issues in M&A paper

Published on 15 Oct 14 by WESTERN AUSTRALIAN DIVISION, THE TAX INSTITUTE

This paper covers:
  • determining consideration
  • allocating consideration across different assets
  • impacts of the Section 40-80 changes
  • financial arrangements and foreign currency interactions.

Author profiles:

Daniel Taborsky CTA
Daniel is a Senior Associate in the Perth Office of Greenwoods & Freehills. Daniel provides clients with advice in relation to income tax, stamp duty and resource rent tax with a particular focus on clients in the energy and resources and property sectors. Daniel holds a Bachelor of Laws (Hons), Bachelor of Behavioural Science, Master of Professional Accounting and Master of Business (Finance and Economics) from the University of Notre Dame Australia, Fremantle. Daniel is currently completing a Master of Laws (Taxation) from the University of Sydney. Current at 19 August 2014
 
Richard Heggart CTA
Nick is a Director in the Perth office of Greenwoods & Herbert Smith Freehills. Nick provides clients with advice in relation to a broad range of tax issues including advice on capital management strategies. He sits on the Energy & Resources Working Group with the ATO and on the State Council for The Tax Institute. Current at 23 August 2016 Click here to expand/collapse more articles by Nick HEGGART.

Tristan Boyd FTI
Tristan is a Senior Associate in the Perth office of Greenwoods & Herbert Smith Freehills. Tristan provides clients with advice in relation to income tax, stamp duty and GST, with a particular focus on the energy & resources and property sectors. Prior to joining Greenwoods & Herbert Smith Freehills in 2012, Tristan worked at a national law firm for 4 years in the tax advisory and corporate transaction groups. He holds a Bachelor of Laws and a Bachelor of Commerce (with first class honours) from the University of Western Australia, and a Masters of Tax from the University of New South Wales. He is admitted as a solicitor of the Supreme Court of Western Australia and the High Court of Australia. Current at 10 September 2015 Click here to expand/collapse more articles by Tristan Boyd.

This was presented at 2014 National Resources Tax Conference.

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