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Penalties, interest and refunds paper

Published on 30 May 12 by VICTORIAN DIVISION, THE TAX INSTITUTE

This paper covers:

  • penalties & interest
  • ATO's ability to negotiate
  • proving reasonable care
  • how to challenge penalties & interest
  • entitlements to interest.



Author profile:

Andrew Broadfoot
Andrew Broadfoot is and has been a barrister in Melbourne since 2002. He appears in and advises on trials and appeals in taxation, commercial and administrative law. He frequently appears both in trials and appeals for taxpayers and also for the Commissioner of Taxation. He has also been involved in numerous disputes, both for taxpayers and for the Commissioner of Taxation, which have settled through alternative dispute resolution processes. Current at 15 October 2012 Click here to expand/collapse more articles by Andrew BROADFOOT.
 

This was presented at Tax Risk Management, ADR & Litigation Masterclass.

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Individual sessions

Dispute resolution in tax matters

Author(s):  Joanne DUNNE

Materials from this session:

The ATO's approach to dispute resolution - An integrated approach

Author(s):  Nick Westerink

Materials from this session:

Alternative dispute resolution - Tax disputes: The right cases & the right time

Author(s):  Peter Croakley

Materials from this session:



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