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The income tax law background and implications paper

Published on 06 Nov 08

This paper covers:

  • impact of appointment
  • issues during the administration
    • accessing pre-appointment losses
    • accessing interest deductions
    • non-cash tax events
    • tax funding agreements and group obligations.
  • issues on wrapping-up
    • what does a tax clearance mean?
    • effect of dissolution on other entities.

Author profile:

Jeremy Hirschhorn CTA
Jeremy joined the ATO in August 2014, and since March 2015 has been the Deputy Commissioner for Public Groups in the Public Groups and International Business line. In this role he is responsible for overseeing tax administration and compliance for all public entities. Before taking on this role, he was the ATO's Chief Tax Counsel with responsibility for the Tax Counsel Network. Prior to joining the ATO, Jeremy was a senior partner in KPMG's Tax Practice. Current at 21 April 2016 Click here to expand/collapse more articles by Jeremy HIRSCHHORN.

This was presented at Tax in an Uncertain Economy.

Get a 20% discount when you buy all the items from this event.

Individual sessions

The perspective of the appointed representative

Author(s):  Barry KOGAN

Materials from this session:

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