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Reasonably arguable position presentation


This presentation covers the following topics:

  • what is a RAP?
  • what effect does a RAP have?
  • how do you obtain a RAP?
  • what are relevant authorities?
  • practical experience and guidance
  • alternatives.

Author profiles:


Click here to expand/collapse more articles by Monica JORDAN.
Sue Williamson CTA-Life
Sue leads EY's Melbourne Tax Controversy practice. She has acted in various AAT, Federal Court, High Court and Supreme Court cases relating to various Commonwealth and state taxes, and has advised clients on a broad range of taxation issues including income tax, GST and PRRT. Sue is also an accredited mediator and has assisted clients in resolving disputes using various alternative dispute resolution mechanisms. Sue is a member of the ATO Dispute Resolution Committee and is a former president of The Tax Institute. Current at 23 June 2016 Click here to expand/collapse more articles by Sue WILLIAMSON.

This was presented at Corporate Tax Intensive: Corporate Tax Stakes.

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

Individual sessions

Hot issues for corporate taxpayers

Author(s):  Frank DRENTH

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Taxation of Financial Arrangements: What's new for financial institutions?

Author(s):  Tony FROST

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Preparing the consolidated tax return

Author(s):  Andrew VAN DINTER

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Litigation - riding the beast

Author(s):  Terry MURPHY

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Demystifying the complexities of tax and the new accounting standards

Author(s):  Peter COLLINS,  Anthony KLEIN

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The new international tax regime: practical impacts and planning

Author(s):  Jason CHANG

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Capital allowances and Division 43

Author(s):  Mark NORTHEAST

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Selling the tax message

Author(s):  Liz TROMANS

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Reasonably Arguable Position

Author(s):  Sue WILLIAMSON,  Monica JORDAN

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Consolidation: focussing on the formation tax return

Author(s):  Martin FRY

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Audit hotspots - lessons learned from corporate audits

Author(s):  Stef MASON

Materials from this session:

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