In 1995, the Federal Commissioner of Taxation released Taxation Ruling TR 95/35 in an attempt to comprehensively address the appropriate capital gains tax treatment of a receipt of compensation, awarded either by the courts or via a settlement. The ruling was in response to the numerous, somewhat contradictory, court decisions of the early 1990s. Despite the release of TR 95/35, there still appears to be a lack of consensus as to the appropriate treatment of such awards. It has been suggested that the only way a taxpayer can, with any certainty, determine their liability is to obtain a private binding ruling, a far from satisfactory situation. In an attempt to clarify what the capital gains tax consequences of a compensation receipt should ...
This article examines a specific category of legal transfers between the United Kingdom and Canada, ...
M.Com.Abstract: Base Erosion and Profit Shifting (BEPS) creates a risk for tax collections, the righ...
This thesis examines key aspects of one of the more controversial questions in tax policywhat is the...
In 1995 the Federal Commissioner of Taxation released Taxation Ruling TR 95/35 - an attempt to compr...
Australia’s adoption in 1986, of capital gains taxation (CGT), employed a broad concept of gain not ...
This study investigates the impact of aspects of tax design on the operating costs of the tax system...
A recent ruling by the High Court of Australia has cast considerable uncertainty regarding the tax t...
This article compares the preferential tax treatment of capital gains in Australia and in Canada, w...
This thesis examines the adequacy and effectiveness of the avenues of relief available to Australian...
The Review of Business Taxation was established in 1998 in Australia to make recommendations on the ...
The income tax status of damage awards in personal injury actions assumes greater importance as liti...
In both his 2013 and 2014 annual reports the Australian Inspector-General of Taxation wrote of the n...
In light of expanding international trade, it is increasingly likely that politicians, courts and tr...
Persons who receive distributions of surplus assets in the liquidation of Australian companies may b...
Noting the heightened concern about tax certainty from 'certain court decisions' and recent updates ...
This article examines a specific category of legal transfers between the United Kingdom and Canada, ...
M.Com.Abstract: Base Erosion and Profit Shifting (BEPS) creates a risk for tax collections, the righ...
This thesis examines key aspects of one of the more controversial questions in tax policywhat is the...
In 1995 the Federal Commissioner of Taxation released Taxation Ruling TR 95/35 - an attempt to compr...
Australia’s adoption in 1986, of capital gains taxation (CGT), employed a broad concept of gain not ...
This study investigates the impact of aspects of tax design on the operating costs of the tax system...
A recent ruling by the High Court of Australia has cast considerable uncertainty regarding the tax t...
This article compares the preferential tax treatment of capital gains in Australia and in Canada, w...
This thesis examines the adequacy and effectiveness of the avenues of relief available to Australian...
The Review of Business Taxation was established in 1998 in Australia to make recommendations on the ...
The income tax status of damage awards in personal injury actions assumes greater importance as liti...
In both his 2013 and 2014 annual reports the Australian Inspector-General of Taxation wrote of the n...
In light of expanding international trade, it is increasingly likely that politicians, courts and tr...
Persons who receive distributions of surplus assets in the liquidation of Australian companies may b...
Noting the heightened concern about tax certainty from 'certain court decisions' and recent updates ...
This article examines a specific category of legal transfers between the United Kingdom and Canada, ...
M.Com.Abstract: Base Erosion and Profit Shifting (BEPS) creates a risk for tax collections, the righ...
This thesis examines key aspects of one of the more controversial questions in tax policywhat is the...