In this paper, Michael O'Neill provides the ATO's perspectives on the following aspects: Litigation update at the Federal Court and at AAT level; ATO's Code of Settlement Practice; Types of settlement arrangements available; Support process for Taxpayer investors.
Michael is a leader in the ATO's Public Groups & International business line focussing on the International branch.
International tax issues align with the G20/OECD agenda including addressing base erosion and profit shifting (BEPS), improving international transparency, building capability and collaboration across tax agencies. The ATO's focus is driving international approaches so that jurisdictions get their fair share of taxation.
Michael is a lawyer who has worked in professional firms and other government agencies. He is married with three great kids and lives in Sydney.
Current at 08 September 2014
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