Published on 09 Sep 14
by WESTERN AUSTRALIAN DIVISION, THE TAX INSTITUTE
This paper covers:
overview of the dispute process generally
ATO position paper
assessments and amended assessments
objecting against a tax assessment
review to the AAT or appeal to the FCA
recovery of disputed debts.
Alan Krawitz CTA
Alan is a Director at EY Law (formerly Norton & Smailes). He is admitted as a lawyer of the Supreme Court of Western Australia and practices in the Federal Court of Australia and the Administrative Appeals Tribunal. Alan's principal areas of practice include income tax, CGT, tax disputes, tax litigation, superannuation, trusts, wills and estates. Current at 30 March 2016
The Tax Institute is a Recognised Tax Agent Association (RTAA) under the Tax Agent Services Regulations 2009.
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