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Instalment warrants paper

Published on 07 Apr 08 by SOUTH AUSTRALIAN DIVISION, THE TAX INSTITUTE

This paper covers topics including: 

  • what an instalment warrant is and why the SIS Act was amended
  • a review of the different instalment warrant structures
  • relationship with other SIS limitations
  • freedoms and uncertainties in the legislation
  • bespoke structuring
  • CGT / Stamp Duty / GST
  • warrants and asset protection.

Author profiles

Denis Barlin CTA
Denis is a Barrister at 13 Wentworth Selborne Chambers. He advises on taxes generally (both federal and state taxes), superannuation, equity and trusts, as well as asset protection. Denis also conducts disputes as an advocate in both state and federal tribunals and courts. - Current at 30 August 2017
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Kenneth Schurgott CTA-Life
Ken Schurgott, CTA-Life is a Solicitor - Director of Schurgott & Co Lawyers specialising in taxation matters (including State Taxes, stamp duty, payroll tax and land tax) and with extensive experience in business structuring, business sales and acquisitions, asset protection, succession planning and trust and estate law. Ken is very experienced in tax dispute matters, negotiations for settlements, mediations and conciliations and litigation. He regularly appears before the AAT and NCAT and instructs counsel in matters before the Courts. Ken has been heavily involved in consultations with the ATO and Treasury on matters involving trusts including the inter-relation with Division 7A. He was National President of The Tax Institute in 2012. - Current at 17 October 2017
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This was presented at Sophisticated Super Strategies: Instalment Warrants and Other Current Issues .

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