AOA16 v Minister for Immigration and Border Protection
|
[2017] FCA 697
|
Federal Court of Australia
|
Australia - Commonwealth
|
21 Jun 2017
|
AustLII
|
|
11
|
Chevron Australia Holdings Pty Ltd v Commissioner of Taxation (No 4)
|
[2015] FCA 1092; (2015) 102 ATR 13
|
Federal Court of Australia
|
Australia - Commonwealth
|
23 Oct 2015
|
AustLII
|
|
22
|
Marshall v Fleming
|
[2017] NSWSC 1107
|
Supreme Court of New South Wales
|
Australia - New South Wales
|
24 Aug 2017
|
AustLII
|
|
6
|
Resource Capital Fund III LP v Commissioner of Taxation
|
[2013] FCA 363; [2013] FCR 363; [2013] ATC 20-386
|
Federal Court of Australia
|
Australia - Commonwealth
|
26 Apr 2013
|
AustLII
|
|
6
|
Shell Petroleum Co Ltd v FCT
|
[2005] FCA 982; (2005) 60 ATR 173
|
Federal Court of Australia
|
Australia - Commonwealth
|
21 Jul 2005
|
AustLII
|
|
6
|
TD 2014/13 - Income tax: the application of Article 10 2(a) of the United Kingdom Convention
|
[2014] ATOTD 13
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2014
|
AustLII
|
|
|
TD 2014/13 - Income tax: the application of Article 10 2(a) of the United Kingdom Convention
|
[2014] ATOTD TD2014/13
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2014
|
AustLII
|
|
|
TR 2001/13 - Income tax: Interpreting Australia's Double Tax Agreements
|
[2001] ATOTR 13
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2001
|
AustLII
|
|
|
TR 2001/13 - Income tax: Interpreting Australia's Double Tax Agreements
|
[2001] ATOTR TR2001/13
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2001
|
AustLII
|
|
|
TR 2002/5 - Income tax: Permanent establishment - What is 'a place at or through which [a] person carries on any business' in the definition of permanent establishment in subsection 6(1) of the Income Tax Assessment Act 1936?
|
[2002] ATOTR 5
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2002
|
AustLII
|
|
|
TR 2002/5 - Income tax: Permanent establishment - What is 'a place at or through which [a] person carries on any business' in the definition of permanent establishment in subsection 6(1) of the Income Tax Assessment Act 1936?
|
[2002] ATOTR TR2002/5
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2002
|
AustLII
|
|
|
TR 2010/7 - Income tax: the interaction of Division 820 of the Income Tax Assessment Act 1997 and the transfer pricing provisions
|
[2010] ATOTR 7
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2010
|
AustLII
|
|
|
TR 2010/7 - Income tax: the interaction of Division 820 of the Income Tax Assessment Act 1997 and the transfer pricing provisions
|
[2010] ATOTR TR2010/7
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2010
|
AustLII
|
|
|
TR 98/21 - Income tax: withholding tax implications of cross border leasing arrangements
|
[1998] ATOTR 21
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 1998
|
AustLII
|
|
|
TR 98/21 - Income tax: withholding tax implications of cross border leasing arrangements
|
[1998] ATOTR TR98/21
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 1998
|
AustLII
|
|
|
v Minister for Home Affairs
|
[2018] FCCA 2748
|
Federal Circuit Court of Australia
|
Australia
|
26 Sep 2018
|
AustLII
|
|
2
|