Recovering domestic taxes and penalties on a pari passu basis before Australian assets are remitted to foreign liquidators

Date

This content is reserved for Global Insolvency Members or members of the American Bankruptcy Institute. Create an account now to gain access. Enjoy free membership for a limited time.

Join Now

Already a member? Login here.

Location
Australia
Authors
Amy Nolan
Firm
DLA Piper
Tags
Australia
Insolvency & Restructuring
Litigation
Tax
DLA Piper
Liquidation
Liquidator (law)
Commissioner of Taxation (Australia)
Federal Court of Australia