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Fraud or evasion paper

Published on 18 Mar 15 by NATIONAL DIVISION, THE TAX INSTITUTE

This paper covers:

  • the meaning of fraud or evasion within section 170 ITAA 1936
  • objection against the amended assessment
  • review in the tribunal
  • appeal to the federal court
  • what to do in the meantime.

Author profiles

Peter Godber CTA
Photo of author, Peter GODBER Peter is a consultant to Grant Thornton. He has over 30 years experience giving professional taxation advice and dealing with change to Australian tax laws. Peter provides advice in many areas of taxation, including business taxation, business and investment structuring, international tax planning, prudential tax audits and tax risk management. Peter is a past State Chair of The Tax Institute’s Queensland Division and is currently a member of the Institute’s National Council. - Current at 26 September 2017
Click here to expand/collapse more articles by Peter GODBER.
Dr Mark Robertson CTA
Mark is a Queen’s Counsel with chambers in Brisbane and Sydney. He has appeared in many cases concerning the issue of purpose Australia-wide for taxpayers and for the Commissioner. - Current at 29 November 2017
Click here to expand/collapse more articles by Mark L ROBERTSON.

 

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