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Interest deductibility following Steele's case


Looks at the review of interest deductibility in light of the decision in Steele's cases, the withdrawal of related tax rulings by the Commissioner; the Commissioner's draft ruling on Steele.

Author profile

Brian Lawrence
Brian Lawrence FTIA is a Partner with PricewaterhouseCoopers. He has specialised in corporate tax for over 20 years and has been involved in many corporate activities including mergers, acquisitions and Initial Public Offerings. Main client responsibilities include property companies, property trusts, property developers, banks, financial institutions and funds management activities. Clients include major Australian corporate groups. Brian has extensive experience advising on real estate tax matters including IPOs for a significant number of listed property trusts and property syndicates, sale and leasebacks and the establishment of numerous funds and stapled structures. He also has extensive experience in performing tax due diligence work on acquisitions. - Current at 27 August 2008
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This was presented at Financing of Business Structures - The Tax Angle .

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Individual sessions

Tidying Up/Winding Up A Company

Author(s):  Peter GODBER

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Interest Deductibility

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Taxation of Financial Arrangements: Corporate Perspective

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Infrastructure Financing

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