Mereniuk v Wilks
|
[2024] NSWDC 376
|
District Court of New South Wales
|
Australia - New South Wales
|
28 Aug 2024
|
AustLII
|
|
|
Hylepin Pty Ltd v Doshay Pty Ltd
|
[2020] FCA 1370; (2020) 148 ACSR 30
|
Federal Court of Australia
|
Australia - Commonwealth
|
25 Sep 2020
|
AustLII
|
|
13
|
Atwal & Dani
|
[2020] FCCA 1106
|
Federal Circuit Court of Australia
|
Australia
|
8 May 2020
|
AustLII
|
|
|
Lewington & Lewington
|
[2018] FCCA 960
|
Federal Circuit Court of Australia
|
Australia
|
20 Apr 2018
|
AustLII
|
|
|
Davey Nominees Pty Ltd v Miot (No 3)
|
[2017] VCC 562
|
County Court of Victoria
|
Australia - Victoria
|
12 May 2017
|
AustLII
|
|
|
Normandy Finance Pty Ltd v Commissioner of Taxation
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[2015] FCA 1420; (2015) 333 ALR 339; (2015) 102 ATR 409
|
Federal Court of Australia
|
Australia - Commonwealth
|
17 Dec 2015
|
AustLII
|
|
9
|
TR 2010/3 - Income tax: Division 7A loans: trust entitlements
|
[2010] ATOTR TR2010/3
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2010
|
AustLII
|
|
|
TD 2008/8 - Income tax: if a private Co makes a loan to a shareholder or their associate in an income year and the loan has not been fully repaid, what elements of the loan agreement need to be in writing for the purposes of paragraph 109N(1)(a) of Division 7A of Part III of the Income Tax Assessment Act 1936?
|
[2008] ATOTD 8
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2008
|
AustLII
|
|
|
TD 2008/8 - Income tax: if a private Co makes a loan to a shareholder or their associate in an income year and the loan has not been fully repaid, what elements of the loan agreement need to be in writing for the purposes of paragraph 109N(1)(a) of Division 7A of Part III of the Income Tax Assessment Act 1936?
|
[2008] ATOTD TD2008/8
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2008
|
AustLII
|
|
|
Kendell v Sweeney
|
[2005] QSC 64
|
Supreme Court of Queensland
|
Australia - Queensland
|
17 Mar 2005
|
AustLII
|
|
4
|
Schmierer v Taouk
|
[2004] NSWSC 345; (2004) 207 ALR 301
|
Supreme Court of New South Wales
|
Australia - New South Wales
|
7 May 2004
|
AustLII
|
|
36
|
TR 2002/16 - Income tax: the taxation consequences for taxpayers issuing certain stapled securities
|
[2002] ATOTR TR2002/16
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2002
|
AustLII
|
|
|
TR 2002/15 - Income tax: deductibility of payments incurred on moneys raised through the issue of perpetual notes
|
[2002] ATOTR TR2002/15
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2002
|
AustLII
|
|
|
TR 2002/15 - Income tax: deductibility of payments incurred on moneys raised through the issue of perpetual notes
|
[2002] ATOTR 15
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2002
|
AustLII
|
|
|
TR 2002/16 - Income tax: the taxation consequences for taxpayers issuing certain stapled securities
|
[2002] ATOTR 16
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2002
|
AustLII
|
|
|
Hasmid Investments Pty Ltd, Weis and Schwartz and Commissioner of Taxation
|
[2001] AATA 365; 47 ATR 1020
|
Administrative Appeals Tribunal
|
Australia
|
4 May 2001
|
AustLII
|
|
|
TR 2001/9 - Income tax: agency development loans
|
[2001] ATOTR 9
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2001
|
AustLII
|
|
|
TR 2001/9 - Income tax: agency development loans
|
[2001] ATOTR TR2001/9
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2001
|
AustLII
|
|
|
VT94/276-304 and Commissioner of Taxation
|
[1996] AATA 270; 33 ATR 1140
|
Administrative Appeals Tribunal
|
Australia
|
2 Aug 1996
|
AustLII
|
|
2
|
VT94/24-39 and Commissioner of Taxation
|
[1996] AATA 97; (1996) 32 ATR 1168
|
Administrative Appeals Tribunal
|
Australia
|
13 Mar 1996
|
AustLII
|
|
3
|
Richard Walter Pty Ltd v Commissioner of Taxation of the Commonwealth of Australia
|
[1995] FCA 1370
|
Federal Court of Australia
|
Australia - Commonwealth
|
11 Jul 1995
|
AustLII
|
|
|
TR 93/28 - Income tax: basis of assessment of income derived from securities purchased and sold cum interest
|
[1993] ATOTR 28
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 1993
|
AustLII
|
|
|
TR 93/28 - Income tax: basis of assessment of income derived from securities purchased and sold cum interest
|
[1993] ATOTR TR93/28
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 1993
|
AustLII
|
|
|