The High Court has granted special leave to appeal the decision in Commissioner of Taxation v Australian Building Systems Pty Ltd(in liq) [2014] FCAFC 133 which held that a liquidator is not required to retain funds from the proceeds of sale of an asset to pay tax before an assessment is issued.
Practical Implications
Australia, Insolvency & Restructuring, Litigation, Tax, MinterEllison, Liquidator (law), Australian Taxation Office, Commissioner of Taxation (Australia)