Published on 28 Aug 20
by NATIONAL DIVISION, THE TAX INSTITUTE
This podcast covers:
- capital v revenue
- history of the Australian tax system
- cases since Sun Newspapers.
Mathew is a partner at EY and leads their Perth International Tax group. A legal practitioner admitted in WA and NSW, he has more than 27 years’ experience in international tax, focusing on the large multinational and corporate environments across Australia, the US, Europe, Asia-Pacific and Africa. Mathew specialises in international tax reform, foreign investment into Australia and outbound investment from Australia. A long-time member of The Tax Institute, Mathew has presented at numerous national and state conventions on international tax issues and has also lectured on tax law at the University of Western Australia and Curtin University. Mathew has led and participated in a number of government and ATO initiatives, working groups etc. on international tax law and policy issues affecting Australian inbound and outbound investment, including through the development of professional body and EY submissions on tax residency.
- Current at
30 November 2020
Fiona is an Assistant Commissioner at the Australian
Taxation Office. She has 19 years’ experience in taxation law and
currently works in the Tax Counsel Network providing advice on
the most complex tax technical issues, including audits, rulings,
litigation and legislative changes. She is a member of the General
Anti-Avoidance Rules (GAAR) Panel. Previously she has worked in the
Large Business & International and Litigation areas of the ATO. Fiona
is admitted to practise as a Barrister and Solicitor of the Supreme
Court of Victoria and is admitted as a Chartered Tax Adviser by The
Tax Institute. She was a finalist in the Institute of Public Administration
Australia 2010 Young Public Sector Leader Awards and has lectured at
the Leo Cussen Institute in income tax and advanced capital gains tax.
Jerome is a Partner at King & Wood Mallesons, specialising in taxation disputes and litigation. Jerome advises corporate taxpayers on all aspects of Australian tax disputes from the audit and independent review stage through to High Court litigation. He also guides clients through alternative dispute resolution processes, advance pricing agreements and mutual agreement procedures.
- Current at
03 December 2020