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A curb on the Commissioner’s powers: Client Legal Privilege

Published on 01 Dec 07 by "TAXATION IN AUSTRALIA" JOURNAL ARTICLE

The Commissioner’s access and information gathering powers are some of the broadest among Federal and State regulatory authorities. This article will examine the scope of these powers and then elaborate on the doctrine of Client Legal Privilege as an effective defence against these powers.

Author profiles:

Tom MAY
Tom May is a tax lawyer specialising in tax dispute resolution services within both the Federal and State taxation jurisdictions.
Current at December 2007 Current at 28 November 2007 Click here to expand/collapse more articles by Tom MAY.
 
Terence TAN
Terence Tan is a tax lawyer specialising in tax dispute resolution services within both the Federal and State taxation jurisdictions.
Current at December 2007 Current at 28 November 2007 Click here to expand/collapse more articles by Terence TAN.

 

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