Patrick Cox Asia Ltd v the Commissioner of Inland Revenue
|
[2023] HKCFI 2676; [2024] 1 HKC 262
|
Hong Kong Court of First Instance
|
Hong Kong
|
19 Oct 2023
|
HKLII
|
|
|
Tech Mahindra Ltd v Commissioner of Taxation
|
[2015] FCA 1082; (2015) 101 ATR 755
|
Federal Court of Australia
|
Australia - Commonwealth
|
7 Oct 2015
|
AustLII
|
|
5
|
ATS Pacific Pty Ltd v FCT
|
[2014] FCAFC 33; (2014) 219 FCR 302; (2014) 98 ATR 116
|
Federal Court of Australia
|
Australia - Commonwealth
|
27 Mar 2014
|
AustLII
|
|
10
|
TR 2014/7 - Income tax: foreign currency hedging transactions - applying the foreign income tax offset limit under section 770-75 of the Income Tax Assessment Act 1997
|
[2014] ATOTR 7
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2014
|
AustLII
|
|
|
TR 2014/7 - Income tax: foreign currency hedging transactions - applying the foreign income tax offset limit under section 770-75 of the Income Tax Assessment Act 1997
|
[2014] ATOTR TR2014/7
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2014
|
AustLII
|
|
|
Picton Finance Ltd and Commissioner of Taxation
|
[2013] AATA 116
|
Administrative Appeals Tribunal
|
Australia
|
5 Mar 2013
|
AustLII
|
|
5
|
TD 2011/24 - Income tax: is an 'Australian source' in subsection 6-5(3) of the Income Tax Assessment Act 1997 dependent solely on where purchase and sale contracts are executed in respect of the sale of shares in an Australian corporate group acquired in a leveraged buyout by a private equity fund?
|
[2011] ATOTD 24
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2011
|
AustLII
|
|
|
TD 2011/24 - Income tax: is an 'Australian source' in subsection 6-5(3) of the Income Tax Assessment Act 1997 dependent solely on where purchase and sale contracts are executed in respect of the sale of shares in an Australian corporate group acquired in a leveraged buyout by a private equity fund?
|
[2011] ATOTD TD2011/24
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2011
|
AustLII
|
|
|