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Results:1-9 of 9

High Court refuses taxpayer’s appeal due to low prospects of success
  • Hall & Wilcox
  • Australia
  • September 21 2018

The High Court has refused to allow the Taxpayer's application for special leave to appeal from the decision of the Full Federal Court in Hart v FCT


ATO confirms view on the Commissioner being entitled to decline to make private ruling
  • Hall & Wilcox
  • Australia
  • September 21 2018

On 14 September 2018, the ATO released a Decision Impact Statement regarding the decision of the Full Federal Court in FCT v Hacon Pty Ltd 2017


Talking Tax - Issue 105
  • Hall & Wilcox
  • Australia, OECD
  • December 8 2017

To rule or not to rule: In this instance, Commissioner entitled to say no to private ruling request. On 23 November 2017, the Federal Court of


Talking Tax - Issue 87
  • Hall & Wilcox
  • Australia, OECD
  • July 28 2017

In Redmadi Pty Ltd v Chief Commissioner of State Revenue 2017 NSWCATAD 231, the Civil and Administrative Tribunal (Tribunal) dismissed the


Talking Tax - Issue 82
  • Hall & Wilcox
  • Australia
  • June 23 2017

On 13 June 2017, Justice Logan of the Federal Court of Australia in Hacon v Commissioner of Taxation 2017 FCA 659 held that the Commissioner


Talking Tax - Issue 75
  • Hall & Wilcox
  • Australia
  • April 28 2017

On 21 April 2017 the Full Federal Court case of Chevron Australia Holdings Pty Ltd v Commissioner of Taxation 2017 FCAFC 62 unanimously dismissed


Talking Tax - Issue 35
  • Hall & Wilcox
  • Australia
  • May 19 2016

The High Court has granted the taxpayers special leave to appeal against the Full Federal Court decision in Bywater Investments Ltd & Ors v FCT



Peter Murray
  • Hall & Wilcox