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Restructuring alternatives paper
Published on 13 Sep 05 by QUEENSLAND DIVISION, THE TAX INSTITUTE
This paper focuses on the capital gains tax rollovers that are most often used in the context of restructuring and business succession together with the related stamp duty issues that need to be taken into account. The main issues that will be dealt with are:
- scrip for scrip arrangements
- individual to company rollovers
- company to company rollovers
- consolidations
- stamp duty concessions.
This paper was also presented by the author at the "SMEs - there's more to know!" seminar held in Brisbane on 10 February 2006 and by David Marschke at the "Asset Protection and Business Succession - Current Issues" seminar held in Cairns on 10 March 2006.
Author profile
Matthew Burgess CTA
Matthew Burgess, CTA co-founded specialist firm View Legal in 2014, having been a lawyer and partner of one of Australia’s leading independent law firms for over 17 years. Matthew’s passion is helping clients successfully achieve their goals. Matthew specialises in tax, and estate and succession planning, providing strategic advice to business owners and high net worth individuals. He has been recognised in the Best Lawyers list since 2014 in relation to trusts and estates and either personally or as part of View Legal in Doyles since 2015 in relation to taxation, and since 2017 in relation to wills, estates and succession planning. In part leveraging off the skills he has developed working in the SME market space, Matthew has been the catalyst for a number of innovative legal solutions for advisers and their clients, including establishing Australia’s first virtual law firm.
- Current at
24 February 2025
This was presented at Restructuring for Asset Protection and Business Succession .
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Restructuring alternatives
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Restructuring for asset protection and business succession
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