Year
Acting for the applicant in a capital gains matter — preliminary questions. John de Wijn AM KC, and A Roe, instructed by Ashurst.
Year
Acting for the applicant in a taxation matter — transfer pricing and arm’s length consideration provisions. J de Wijn KC, M Baker KC, and C Horan, instructed by Jones Day.
Year
Acting for the applicant in a taxation matter concerning cross-border transfer pricing and arm’s length consideration provisions — application for special leave to appeal. Appearing with C J Peadon and L D Currie, instructed by PricewaterhouseCoopers. Following Singapore Telecom Australia Investments Pty Ltd v Commissioner of Taxation [2024] FCAFC 29.
Year
For the applicant in an income tax matter involving interest deductions. John de Wijn KC and Eugene Wheelahan KC, with Claire Horan and Andrew Roe. Instructed by MinterEllison. Following Mylan Australia Holding Pty Ltd v Commissioner of Taxation [2023] FCA 672.
Year
Acting for the appellant in a taxation matter concerning cross-border transfer pricing and arm’s length consideration provisions. With C Peadon and L Currie, instructed by PricewaterhouseCoopers. Followed by Singapore Telecom Australia Investments Pty Ltd v Commissioner of Taxation [2024] HCATrans 74.
Year
Acting for the applicant in a taxation matter — review of decision to refuse access to documents related to an audit by the Australian Taxation Office — claim that documents are subject to legal privilege. J de Wijn KC, M Baker KC, and E Latif, instructed by Jones Day.
Year
For the applicant in an income tax matter involving interest deductions — application for discovery. John de Wijn KC and Eugene Wheelahan KC, with Claire Horan and Andrew Roe. Instructed by MinterEllison. Followed by Mylan Australia Holding Pty Ltd v Commissioner of Taxation (No 2) [2024] FCA 253.
Year
For the appellant in a NSW Court of Appeal decision on professional negligence relating to taxation advice. Instructed by Gadens Lawyers Sydney.
Year
Capital gains tax assessment matter
Year
For the respondents in a matter involving the s 25-90 deduction, declaration of dividends. Led by Simon Steward QC, now Steward J, instructed by PricewaterhouseCoopers.
Year
For the respondent in a matter involving transfer pricing, instructed by Middeltons.
Year
For the applicants in a matter that involved Income Tax and Part IVA and the admissibility of evidence on foreign law. Led by Simon Steward QC, now Steward J, and instructed by PricewaterhouseCooper.
Year
Transfer pricing case.