Published on 19 Nov 97
by VICTORIAN DIVISION, THE TAX INSTITUTE
Topics include: Should Consideration include liabilities?; Problems arising with 160ZD(2); How strong must nexus be with particular acquisition or disposal?
Zorach is a Principal in the International Tax Services Group of Ernst & Young. For over 10 years he has advised major Australian and foreign multinationals on the tax implications of cross border investments. Prior to joining the profession Zorach was with the ATO where he spent five years in the ATO's Policy and Legislation Division. Much of that time he was engaged in developing the CFC measures. Since joining the profession Zorach has also been involved with the Tax Office's National Tax Liaison Group Foreign Source Income Sub-Committee.
- Current at
01 August 2004