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Commentary

Published on 01 Jun 96 by "THE TAX SPECIALIST" JOURNAL ARTICLE

Will the High Court provide the framework for anti-avoidance certainty - and not create another sec.260 phoenix?

Author profile:

Author Photo - Terrence Murphy QC, CTA
Terrence Murphy QC, CTA
Terry, QC, CTA, is a Barrister at Chancery Chambers. He practises at the Victorian Bar in revenue law, trust and superannuation law, corporations law and commercial law, and has appeared for both taxpayers and the Commissioner in the High, Federal and Supreme Courts. Terry is a member of the Taxation Committee of the Business Section of the Law Council of Australia, a member of the Melbourne Law Masters Tax Advisory Board at the University of Melbourne (where he lectures in the LLM program), the Bar's representative on the School of Law Program Advisory Committee of Victoria University and a frequent presenter at state and national conferences of The Tax Institute and other professional bodies. Terry was appointed Special Counsel to the ATO from 2008 until 2010. Current at 07 December 2016 Click here to expand/collapse more articles by Terry MURPHY.
 
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