Direct taxation of persons who receive distributions of surplus assets in the liquidation of Australian companies occurs under either the deemed dividends or capital gains regimes. Section 47 of the Income Tax Assessment Act 1936 (Cth) has deemed dividends for income taxation for over 80 years and the regime contains many anomalies. High Court judgments have attributed a questionable 'character' to liquidation distributions, as a response to the Act's exclusion of (once) tax-free, 'capital' amounts. Division 7A applies to liquidation distributions in quite limited circumstances. The Income Tax Assessment Act 1997 (Cth) capital gains regime better reflects the general law nature of liquidation surpluses and does so w...
One of the major issues arising in cross-border or international insolvency is the local recognition...
Petitioners, from 1937 to 1940, received distributions from the liquidation of a corporation of whic...
Prior to the introduction of the tax consolidation regime, tax considerations often acted as a disin...
Shareholders are normally entitled to the surplus, if any, which remains after a liquidator has paid...
Persons who receive distributions of surplus assets in the liquidation of Australian companies may b...
A complete liquidation occurs when a corporation ceases to pursue activities*as a going concern and ...
In 1988, the Australian General Insolvency Inquiry (Harmer Report) recommended that the principle of...
The Commissioner’s role in a corporate insolvency has expanded as new forms of taxation have been cr...
The Australian income tax system has recently undergone perhaps its most significant structural chan...
The first aim of this thesis is to develop a theoretical framework that can be used to analyse the e...
It is the present practice that asset revaluation reserve distributions by trustees of discretionary...
Section 331 (a) (1) of the Internal Revenue Codeprovides that a complete liquidation of a corporati...
In the absence of a statutory provision prescribing its tax consequences,the complete liquidation of...
Limited liability company is formed at the time of registration in the register of entrepreneurs of ...
The state of Australia’s insolvency laws is currently a matter of considerable public debate, with t...
One of the major issues arising in cross-border or international insolvency is the local recognition...
Petitioners, from 1937 to 1940, received distributions from the liquidation of a corporation of whic...
Prior to the introduction of the tax consolidation regime, tax considerations often acted as a disin...
Shareholders are normally entitled to the surplus, if any, which remains after a liquidator has paid...
Persons who receive distributions of surplus assets in the liquidation of Australian companies may b...
A complete liquidation occurs when a corporation ceases to pursue activities*as a going concern and ...
In 1988, the Australian General Insolvency Inquiry (Harmer Report) recommended that the principle of...
The Commissioner’s role in a corporate insolvency has expanded as new forms of taxation have been cr...
The Australian income tax system has recently undergone perhaps its most significant structural chan...
The first aim of this thesis is to develop a theoretical framework that can be used to analyse the e...
It is the present practice that asset revaluation reserve distributions by trustees of discretionary...
Section 331 (a) (1) of the Internal Revenue Codeprovides that a complete liquidation of a corporati...
In the absence of a statutory provision prescribing its tax consequences,the complete liquidation of...
Limited liability company is formed at the time of registration in the register of entrepreneurs of ...
The state of Australia’s insolvency laws is currently a matter of considerable public debate, with t...
One of the major issues arising in cross-border or international insolvency is the local recognition...
Petitioners, from 1937 to 1940, received distributions from the liquidation of a corporation of whic...
Prior to the introduction of the tax consolidation regime, tax considerations often acted as a disin...