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Pitcher Partners
The announcement of further land tax relief measures is welcome news to Victorian landlords and businesses.
Madgwicks
Recent decisions remind the extent which CGT applies where a non fixed trust distributes capital gains to a non resident.
Broadley Rees Hogan Lawyers
Discussion about the recently introduced land tax relief packages and the land tax foreign surcharge.
Holding Redlich
The Director Penalty Regime (DPR) makes directors personally liable for specified taxation liabilities of their company.
Coleman Greig Lawyers
Trustees may be liable for the foreign person surcharges if any of the potential beneficiaries of the trust is a foreign person.
Holman Webb
Certain NSW trustees may need to make urgent changes to their trust deeds, to avoid paying extra stamp duty or land tax.
McCullough Robertson
The consequences of COVID-19 provide every reason to boldly and expeditiously push forward with necessary tax reform.
Cooper Grace Ward
The withdrawal may be treated as a taxable capital distribution from a foreign trust and taxed at your marginal rate.
Bartier Perry
Background & snapshot of new laws relating to NSW duty & land tax surcharges that will impact discretionary trusts.
Coleman Greig Lawyers
It is now easier for Australians living and working overseas to prove they are no longer tax residents of Australia.
Cooper Grace Ward
The ATO have made clear what they require auditors to obtain from SMSFs that have provided relief.
ClarkeKann Lawyers
This new bill intends to limit the amount of tax concessions available to minors for income from a testamentary trust.
Johnson Winter & Slattery
Earlier this week the ATO released draft TD 2020/D1 Income tax: notional deductions for R&D activities subsidised by JobKeeper payments to clarify its view on how section 355-405...
Cooper Grace Ward
ATO indicated a stronger focus on SMSFs that may run into issues due to the incapacity or incapability of their trustees.
Cooper Grace Ward
A reminder to amend your discretionary trust deed to exclude foreign persons as beneficiaries before 31 December 2020.
McCullough Robertson
The exemption is available when a foreign trust or company makes a significant contribution to the Queensland economy.
Holding Redlich
PR LTA000.4.1 sets out the circumstances in which foreign entities obtain relief from the Land Tax Foreign Surcharge.
McCullough Robertson
Taxpayers suffering from COVID-19 economic effects can defer minimum yearly repayments in respect of Division 7A loans.
McCullough Robertson
This article is a round-up of summaries of recent cases relating to taxation in Australia.
McCullough Robertson
Trustees have until 31 December 2020 to exclude foreign residents as potential beneficiaries of NSW discretionary trusts.
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