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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 Hirschhorn was appointed to act in the role of Second Commissioner in December 2018. He has overall responsibility for the ATO’s Client Engagement Group, which fosters willing participation in Australia’s tax and super systems through well-designed client experiences. Jeremy has more than 20 years' experience in roles managing complex tax matters. As Deputy Commissioner of Public Groups & International from April 2015, Jeremy was responsible for ensuring that the largest Australian and multinational companies were meeting their corporate tax obligations, and providing the Australian community with confidence that these large companies were being held to account. Jeremy also worked as Chief Tax Counsel, with responsibility for the provision of the ATO’s legal advice in relation to interpretation of the tax and super laws, when he joined the ATO in August 2014. Prior to joining the ATO, Jeremy was a senior partner in KPMG’s tax practice. Jeremy holds a Bachelor of Commerce and Bachelor of Laws from the University of NSW. He is a Chartered Tax Adviser and Chartered Accountant. - Current at 19 November 2020
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This was presented at Tax in an Uncertain Economy .

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Individual sessions






The perspective of the appointed representative

Author(s):  Barry KOGAN

Materials from this session:






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