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Tax Dispute Resolution in the Modern Era paper
Published on 17 Aug 17 by WESTERN AUSTRALIAN DIVISION, THE TAX INSTITUTE
This paper covers:
- tax risk management
- risk reviews, audits and the like
- objections
- AAT or Federal Court?
- alternative dispute resolution
- code of settlement
- burden of proof
- evidence
- debt management pending resolution.
Author profile
Jonathon Leek
Jonathon Leek, CTA is a Partner at Deloitte Legal and leads the Perth Practice. He is a solicitor and barrister with almost 25 years of experience gained in Sydney and Perth, including 18 years as a partner in leading law firms and as a barrister at the independent bar. Jonathon has extensive knowledge and experience of advising on mergers and acquisitions in the public and private spheres. He is an Honorary Fellow of the University of Western Australia where he lectures in postgraduate tax law and coordinates the units on “Advanced Australian Corporate Tax” and “Tax Dispute Resolution”. Jonathon is a member of the Tax Institute’s WA State Council and chair of its WA Technical Committee. He has been recognised as one of Australia’s leading tax lawyers in a number of client and peer surveys over many years, including Best Lawyers, Chambers Guide and the International Tax Review. - Current at 17 January 2018
This was presented at 50th Western Australia State Convention .
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Tax Dispute Resolution in the Modern Era
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