Kirk as trustee of the Property of Smith (a Bankrupt) v Smith
|
[2024] FCA 240
|
Federal Court of Australia
|
Australia - Commonwealth
|
15 Mar 2024
|
AustLII
|
|
1
|
Nicols as trustee of the bankrupt estate of Manietta v Manietta, in the matter of Manietta
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[2022] FCA 39
|
Federal Court of Australia
|
Australia - Commonwealth
|
31 Jan 2022
|
AustLII
|
|
7
|
Commonwealth v Davis Samuel Pty Ltd (No 7)
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[2013] ACTSC 146; (2013) 282 FLR 1; (2013) 95 ACSR 258
|
Supreme Court of the Australian Capital Territory
|
Australia - Australian Capital Territory
|
1 Aug 2013
|
AustLII
|
|
44
|
Brody and Commissioner of Taxation
|
[2007] AATA 1764; 69 ATR 941
|
Administrative Appeals Tribunal
|
Australia
|
14 Sep 2007
|
AustLII
|
|
1
|
Raftland Pty Ltd v Commissioner of Taxation
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[2007] FCAFC 4; (2007) 65 ATR 336
|
Federal Court of Australia
|
Australia - Commonwealth
|
31 Jan 2007
|
AustLII
|
|
12
|
Raftland Pty Ltd v Commissioner of Taxation
|
[2006] FCA 109; (2006) 227 ALR 598; 62 ATR 49
|
Federal Court of Australia
|
Australia - Commonwealth
|
17 Feb 2006
|
AustLII
|
|
16
|
Taxpayers and Commissioner of Taxation
|
[2005] AATA 1251; 61 ATR 1132
|
Administrative Appeals Tribunal
|
Australia
|
16 Dec 2005
|
AustLII
|
|
4
|
TD 2003/9 - Income tax: is a taxpayer entitled to an income tax deduction for purported partnership losses claimed to have been incurred as a result of entering a prepaid service warrant arrangement as described in Taxpayer Alert 2002/5?
|
[2003] ATOTD TD2003/9
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2003
|
AustLII
|
|
|
TD 2003/9 - Income tax: is a taxpayer entitled to an income tax deduction for purported partnership losses claimed to have been incurred as a result of entering a prepaid service warrant arrangement as described in Taxpayer Alert 2002/5?
|
[2003] ATOTD 9
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2003
|
AustLII
|
|
|
Equuscorp Pty Ltd v Glengallan Investments Pty Ltd
|
[2002] QCA 380
|
Supreme Court of Queensland - Court of Appeal
|
Australia - Queensland
|
29 Sep 2002
|
AustLII
|
|
18
|
TD 2002/23 - Income tax: Is a taxpayer entitled to an income tax deduction for any part of the marketing fee paid in respect of the internet marketing expenses scheme described in Taxpayer Alert 2002/1?
|
[2002] ATOTD TD2002/23
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2002
|
AustLII
|
|
|
TD 2002/23 - Income tax: Is a taxpayer entitled to an income tax deduction for any part of the marketing fee paid in respect of the internet marketing expenses scheme described in Taxpayer Alert 2002/1?
|
[2002] ATOTD 23
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2002
|
AustLII
|
|
|
Australian Horticultural Finance Pty Ltd v Jekos Holdings Pty Ltd
|
[1997] QCA 440
|
Supreme Court of Queensland - Court of Appeal
|
Australia - Queensland
|
9 Dec 1997
|
AustLII
|
|
8
|
Re Commissioner of Taxation of the Commonwealth of Australia v Emmakell Pty Ltd the Trustee of the WK Stevenson Family Trust
|
[1990] FCA 133
|
Federal Court of Australia
|
Australia - Commonwealth
|
1 May 1990
|
AustLII
|
|
|
Commissioner of Taxation v Lau
|
[1984] FCA 401; 6 FCR 202; (1984) 57 ALR 107; (1984) 16 ATR 55
|
Federal Court of Australia
|
Australia - Commonwealth
|
18 Dec 1984
|
AustLII
|
|
1092
|