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Limited recourse debt ("LRD")
Published on 07 Oct 98 by THE TAX INSTITUTE
Topics covered include:
- Capital allowance clawback
- extended definition of LRD
- the termination trigger
- partnerships and company groups
- debt forgiveness interface
Author profile
Richard Shaddick
Richard Shaddick FTIA is a Director of Greenwoods & Freehills in Melbourne. He has extensive experience in international taxation with his primary area of interest being the taxation of controlled foreign companies. Richard is a member of the Public Rulings Panel of the Australian Taxation Office. He is a former State & National Councillor of the Taxation Institute, and a former Australian President of the International Fiscal Association. He represented the Taxation Institute on the Tax Treaties Advisory Panel from 1997-2006. He is an occasional member of the GAAR Panel. - Current at 11 March 2009
This was presented at Red Series: Tax Aspects of Structured Finance .
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Individual sessions
Issues for privatisation
Author(s): Michael ANDREWMaterials from this session:
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International aspects of structured finance
Author(s): Duncan R C BAXTERMaterials from this session:
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Limited Recourse Debt
Author(s): Richard SHADDICKMaterials from this session:
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Part IVA and rulings: a practitioner's view
Author(s): Cameron RIDERMaterials from this session:
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