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Tax Accounting and Livestock in Australia

Insights from the Wade Case

Lex Fullarton Dale Pinto

$41.95

Paperback

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English
ibidem-Verlag, Jessica Haunschild u Christian Schon
17 May 2024
The authors take an in-depth look at an accepted practice of classifying ALL animals held in a business of primary product in Australia as revenue assets regardless of the function they perform in that business. This practice denies retiring farmers tax concessions granted to other businesses. They describe the practice as unfair, and after a deep examination of the circumstances that gave rise to the generally accepted accounting and tax interpretation, they find that it is not true.

They report their story and point their fingers at a glaring tax injustice.

By:   ,
Imprint:   ibidem-Verlag, Jessica Haunschild u Christian Schon
Country of Publication:   Germany
Dimensions:   Height: 21mm,  Width: 15mm, 
ISBN:   9783838219059
ISBN 10:   3838219058
Pages:   154
Publication Date:  
Audience:   Professional and scholarly ,  Undergraduate
Format:   Paperback
Publisher's Status:   Active

Dr Lex Fullarton is Adjunct Professor at Curtin Law School, Curtin University. He is a solar farmer in Carnarvon, Western Australia and former public practitioner. He has previously published Heat, Dust and Taxes (2015); Watts in the Desert (2016); The Artful Aussie Tax Dodger (2017); and [T]Axing Greenhouse Gases (2019). Prof Dale Pinto is John Curtin Distinguished Professor of Taxation Law, Curtin Law School, Curtin University. He has previously published E-Commerce and Source-Based Income Taxation (2003). He contributed to Australian Taxation Law (2016-2021) and is contributor to the Australian Master Tax Guide 2022-current.

Reviews for Tax Accounting and Livestock in Australia: Insights from the Wade Case

As a practising tax lawyer, I find myself thoroughly shocked by the lifelong incorrect assumptions I held regarding the taxation of livestock. I can take solace in the fact that both the ATO and my fellow practitioners have also been living under the same misinterpretation of the law. Thanks to the authors, whose strong academic rigour and extensive research have elucidated the correct position on the taxation consequences of livestock, we now have a clearer understanding. We are indeed fortunate to benefit from the expertise of such heavyweights from the esteemed Curtin University Business School, generously providing this invaluable research to the community.--Dr Brett Davies, adjunct professor University of Western Australia, national tax partner, Legal Consolidated Barristers and Solicitors The definition of primary production business ensures that an entity with a single bull to produce semen straws for sale is a primary production business. Fantasies are irrelevant--the bull is a working beast and not trading stock. Legislation that makes semen production a primary production business is foolish.--Chris G Wallis, barrister & chartered tax adviser, Greens List, Victorian Bar The interpretation by tax administrators and tax professionals of the provisions of the Income Tax Assessment Act 1997 (ITAA 1997) and the Wade Case and similar cases relating to the sale of livestock are critically explored to provide meaningful insight into the problem faced by primary producers in Australia. This book is a must read for Australian primary producers, tax professionals, academics, and students.--Prafula Pearce, associate professor (Law), Edith Cowan University, School of Business and Law, Edith Cowan University


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