Published on 23 May 01
by SOUTH AUSTRALIAN DIVISION, THE TAX INSTITUTE
This paper discusses Interest Deductibility principles; Decisions in Steele, Brown and Jones; and the practical implications of these decisions for practitioners.
Andrew Shaw CTA
Andrew is a Principal with Shaw Lawyers practising primarily in revenue and commercial law for a wide range of clients including medium and large private businesses, property developers, accountancy firms and business advisers. Andrew is the current Chair of the Taxation Institute's SA Technical Subcommittee and is also a member of the Taxation Committee of the Law Council of Australia. Current at 27 February 2007
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