Published on 08 Nov 18
by WESTERN AUSTRALIAN DIVISION, THE TAX INSTITUTE
This presentation covers:
- policy - why GAARs?
- law - survey of recent developments
- procedure -the ATO and the GAAR panel
- practical examples.
Jonathan is a partner in PwC Australia’s tax controversy and dispute resolution team, specialising in tackling difficult tax law interpretation problems with the ATO including in particular anti-avoidance cases. From 2011 to joining PwC, he was Deputy Chief Tax Counsel, one of the most senior legal positions in the ATO. In this role he chaired the ATO’s General Anti Avoidance Rules Panel and its Public Rulings Panel.
- Current at
19 June 2019