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Evidence paper

Published on 30 May 12 by VICTORIAN DIVISION, THE TAX INSTITUTE

This paper covers:

  • how and when to gather evidence
  • discharging the onus of proof
  • admissibility of evidence
  • the fraud and evasion exception to the 4-year limitation period
  • expert witnesses.

Author profile

Michael Flynn QC CTA-Life
Photo of author, Michael FLYNN Michael is a Barrister at Owen Dixon Chambers West, specialising in taxation, and was National President of The Tax Institute in 2014. He is the author, with James Kessler, QC, of Drafting Trusts and Will Trusts in Australia (2nd edition, 2017). Michael has appeared in the Administrative Appeals Tribunal, the Federal Court and the High Court in taxation cases. Michael has been a member of various committees of The Tax Institute for over 20 years. - Current at 02 December 2019
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This was presented at Tax Risk Management, ADR & Litigation Masterclass .

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Dispute resolution in tax matters

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The ATO's approach to dispute resolution - An integrated approach

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Alternative dispute resolution - Tax disputes: The right cases & the right time

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