Published on 23 Oct 04
by NATIONAL EVENTS, TAXATION INSTITUTE OF AUSTRALIA
There have been a number of significant GST cases over the past 12 months. In this paper Roger Hamilton shares his experiences in this area.
- Declaratory relief proceedings v traditional tax proceedings
- Refunds and the application of s39 of the TAA
- Obtaining protection under s37 of the TAA
- The Marana Holdings experience.
Roger is a Barrister practising at Ground Floor Wentworth Chambers. He specialises in revenue law, particularly international tax law, as well as income tax, CGT, state duties and taxes. Roger’s experience in law has involved government, academic and private practice as a solicitor and at the Bar.
- Current at
15 September 2017