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Corporate residency and the Hua Wang Bank case paper

Published on 27 Apr 16 by NEW SOUTH WALES DIVISION, THE TAX INSTITUTE

This paper covers:

  • central management and control
  • Hua Wang Bank Berhad v FCT
  • DTA and residence
  • On appeal: the Full Court decision.

Author profiles

Simon Lees
Simon is a Solicitor with Mallesons Stephen Jaques.
Current at 01 February 2011
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Kristen Deards SC
Photo of author, Kristen DEARDS Kristen has an extensive taxation practice and appears for taxpayers and the Commissioner of Taxation in income tax and GST cases in the Administrative Appeals Tribunal, the Federal Court and the High Court of Australia. She has appeared in a large range of tax cases, led and unled, from complex Part IVA and transfer pricing cases, to disputes concerning CGT, the consolidation regime, international tax, superannuation, insurance, trusts and charities. An income tax practitioner for fifteen years, Ms Deards has an extensive opinion practice advising corporate taxpayers and high wealth individuals, and she regularly advises taxpayers on the conduct of audits undertaken by the Commissioner of Taxation. - Current at 31 May 2019
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This was presented at International Tax Basics .

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Withholding tax and foreign tax fundamentals

Author(s):  Andrew SHARP

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