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Consolidation: Legislative changes (Part B)

Published on 01 May 09 by NATIONAL DIVISION, THE TAX INSTITUTE

This paper provides a detailed examination of the critically important pending legislative amendments involving:

  • post-joining time liabilities adjustments
  • exit allocable cost amount calculations
  • MEC groups
  • CGT straddle transactions
  • extension of the single entity rule
  • the practical implications of retrospectivity.

Author profile:

Author Photo - Peter Murray CTA-Life
Peter Murray CTA-Life
Peter Murray is a Senior Tax Partner at KPMG and KPMG Tax Law and past President of The Tax Institute. Peter specialises in advising clients on a broad range of corporate tax issues and has experience in domestic and international tax matters including advising on mergers and acquisitions, business tax reform, capital structures and restructuring international corporate groups. Peter also focuses on managing tax disputes and providing legal tax advice. Current at 09 November 2012 Click here to expand/collapse more articles by Peter MURRAY.
 

This was presented at 4th National Consolidation Symposium.

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Individual sessions

ATO perspective on consolidation - Unravelling the mysteries of the single entity rule

Author(s):  Des MALONEY,  Peter WALMSLEY

Materials from this session:






Consolidation: Legislative changes (Part B)

Author(s):  Peter MURRAY

Materials from this session:

Consolidation and mining assets – Some selected acquisition issues checklist

Author(s):  Cameron RIDER

Materials from this session:


Tax consolidation – Financial services

Author(s):  Tony STOLAREK

Materials from this session:



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