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Reasonably arguable position presentation
Published on 29 Oct 04 by VICTORIAN DIVISION, THE TAX INSTITUTE
This presentation covers the following topics:
- what is a RAP?
- what effect does a RAP have?
- how do you obtain a RAP?
- what are relevant authorities?
- practical experience and guidance
- alternatives.
Author profiles
Sue Williamson CTA-Life
Sue Williamson, CTA (Life) leads the Holding Redlich Melbourne Tax Risk Management and Disputes practice. She advises clients on tax risk management including tax governance and ensuring that clients have sufficient evidence to defend their positions. She has acted in various AAT, Federal Court, High Court and Supreme Court tax cases. Sue is also an accredited mediator and has assisted clients in resolving disputes using various ADR mechanisms. Sue was the President of The Tax Institute in 2008, has been a member of several advisory boards, has participated in many consultative forums and lectures in the University of Melbourne Masters of Law program. - Current at 04 July 2023Monica JORDAN
This was presented at Corporate Tax Intensive: Corporate Tax Stakes .
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