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Capital gains and foreign beneficiaries of Australian trusts presentation
Published on 23 Jun 20 by NATIONAL DIVISION, THE TAX INSTITUTE
This presentation covers:
- what Greensill decided
- what Greensill didn’t decide
- the labyrinth
- the general international rule.
Author profile
Mark Brabazon CTA
Dr Mark Brabazon SC advises and represents corporate, private and government clients in cases involving income tax, GST and State taxes, acting at all levels from planning and advice through audit, investigation and ADR to final appeal. He is the author of International Taxation of Trust Income: Principles, Planning and Design (CUP, 2019), the GTTC chapter on ‘Application of Tax Treaties to Fiscally Transparent Entities’, and many other publications on Australian and international tax. He is a member of 7 Wentworth Selborne. - Current at 15 May 2020
Individual sessions
Capital Gains and Foreign Beneficiaries of Australian trusts: What do we (and don’t we) learn from Peter Greensill Family Co v FCT [2020] FCA 559?
Author(s): Mark L BRABAZONMaterials from this session:
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