Published on 18 Mar 15
by NATIONAL DIVISION, THE TAX INSTITUTE
This presentation covers:
cases and rulings from 2014
Cmr of State Revenue v Lend Lease Development Pty Ltd & Ors  HCA 51
Cmr of Taxation v Resource Capital Fund III LP  FCAFC 37
Cmr of Taxation v MBI Properties Pty Ltd  HCA 49
TR 2014/3: branch profits exemption in s 23AH and substantial equipment PEs.
Dr Philip Bender
Philip is a Barrister and member of the Institute of Chartered Accountants practising in State and Federal taxation, superannuation and commercial law. He is also a sessional member of the Victorian Civil and Administrative Tribunal (although he still appears as a barrister in the tax list of that Tribunal). Philip advises and appears for taxpayers and revenue authorities in State and Federal courts and tribunals and has appeared on a number of occasions in the High Court. He has also been briefed by other government agencies including ASIC, the Official Trustee in Bankruptcy and the Victorian Government Solicitor's Office. Current at 01 October 2014
The Tax Institute is a Recognised Tax Agent Association (RTAA) under the Tax Agent Services Regulations 2009.
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