Published on 26 Feb 15
by QUEENSLAND DIVISION, THE TAX INSTITUTE
This presentation covers:
the Commissioner's access to documents in filed family law proceedings
referral of tax affairs by the court in family law proceedings to the Commissioner
the use of voluntary disclosures in the context of family law proceedings
re-opening orders made in family law proceedings to address tax issues
the Commissioner's new view on Div7A distributions pursuant to court orders in family breakdown: TR2014/5.
Amber is a Senior Associate at Clayton Utz. Amber specialises in revenue litigation and disputes and administrative law. She has conducted litigation in the Administrative Appeals Tribunal, the Federal Court and the State Supreme Courts. Amber is a member of The Tax Institute and has completed a Master of Laws with a specialisation in tax law. Current at 07 April 2015
The Tax Institute is a Recognised Tax Agent Association (RTAA) under the Tax Agent Services Regulations 2009.
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