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Litigation & Dispute Resolution| 13 Oct 2015
Federal Court confirms the ATO cannot issue garnishee notices to a company being wound up to collect post-liquidation tax liabilities.
Insolvency & Reconstruction| 12 Aug 2015
The Federal Court’s decision in Commissioner of Taxation v Warner  FCA 659 has clarified that the Australian Taxation Office’s (ATO) coercive powers requiring a taxpayer to produce documents and information to the ATO prevail over section 486 of the Corporations ...