Dr Campbell Rankine will again lead the discussion on Oswal and when a new trust is created, settled or resettled. We will continue our discussion on present entitlement, absolute entitlement and specific entitlement, through Bamford and Subdivision 115-C. ...
We will be continuing our exploration of Div 6 and the taxation of trust income. Last week we went through s96, s97 and began s95A(1). We will continue from where we left off on deemed present entitlement, and will then move to s95A(2) and s101. It may be that these...
We will seek to apply and overlay Division 6 to the position in equity on trust distributions that we have been delving into. Besides going into the core sections of ss95, 97, 99A, 101 etc. we will also consider AW Furse Will Trust. Dr. Campbell Rankine will lead us...
Dr. Campbell Rankine will lead us again through Fischer v Nemeske, this time through the lens of how it was considered in Bendel. In particular we will consider the Judgement of Gageler J and whether his honour is actually closer to the views of the dissenting Gordon...
There are different types of options: options per se, conditional contracts, and offers with consideration not to revoke. These are set out in Laybutt v Amoco. The different types of options have different legal and taxation effect, in particular with Stamp Duty. Dr....
22/3/24 Dr Campbell Rankine: Archibald Howie Pty Ltd v Commissioner of Stamp Duties on transfer of shares, Stamp Duty and what constitutes property and Hunter v Moss [1994] WLR 452 on declaring trust over fungibles Dr Campbell Rankine:...