TR 2002/15 - Income tax: deductibility of payments incurred on moneys raised through the issue of perpetual notes
|
[2002] ATOTR 15
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2002
|
AustLII
|
|
|
TR 2002/16 - Income tax: the taxation consequences for taxpayers issuing certain stapled securities
|
[2002] ATOTR 16
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2002
|
AustLII
|
|
|
TR 2002/15 - Income tax: deductibility of payments incurred on moneys raised through the issue of perpetual notes
|
[2002] ATOTR TR2002/15
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2002
|
AustLII
|
|
|
TR 2002/16 - Income tax: the taxation consequences for taxpayers issuing certain stapled securities
|
[2002] ATOTR TR2002/16
|
Australian Taxation Office
|
Australia - Commonwealth
|
circa 2002
|
AustLII
|
|
|
Charles Rasleight Ltd v BNZ Finance Co Ltd SC Auckland A920/68
|
[1970] NZHC 38
|
High Court of New Zealand
|
New Zealand
|
22 Jan 1970
|
NZLII
|
|
|
Marikar v Suppramaniam Chettair - NLR - 409 of 44
|
[1940] LKCA 16; (1940) 44 NLR 409
|
Sri Lankan Court of Appeal
|
Sri Lanka
|
1 Jan 1940
|
AsianLII
|
|
3
|