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?
Terry Murphy QC, CTA, has focussed on advising and appearing for taxpayer and revenue authorities in the Federal Court and High Court and in alternative dispute resolution for over 30 years. He was appointed to be the Special Counsel to the Australian Taxation Office from 2008 to 2010, is a member of Taxation Subcommittee of the Law Council, Chair of the Tax Group Advisory Board, and a Senior Fellow of the University of Melbourne Law School.
- Current at
30 August 2017