Hi6028 taxation-theory, practice and law

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Reference no: EM131197090 , Length: 2750 Words

Case study 1:

Residence and source Kit is a permanent resident of Australia. He was born in Chile and retains his Chilean citizenship. Kit spends most of the year working off the coast of Indonesia on an oil rig for a United States company. He was recruited for this job in Australia and signed a contract with the company here. For the last four years, Kit’s wife has lived in Australia with their two children. They purchased a home in Australia three years ago. Kit and his wife have a joint bank account with Westpac Bank. Kit’s salary is paid directly into his account. All of the family’s other investments, including a share portfolio that generates dividend income, remain in Chile. Kit gets one month off from work every third month and, on these occasions, he meets with his family either in Australia or on holidays around South America (usually in Chile where his parents reside).  

Discuss whether Kit is a resident of Australia and how his salary and investment income would be taxed (10 marks, max. 1000 words).

Case study 2: ordinary income

Explanations of the respective outcomes reached by the courts in the following cases which all involving sales of land:

I. Californian Copper Syndicate Ltd v Harris (Surveyor of Taxes) (1904) 5 TC 159

II. Scottish Australian Mining Co Ltd v FC of T (1950) 81 CLR 188 III. FC of T v Whitfords Beach Pty Ltd (1982) 150 CLR

IV. Statham & Anor v FC of T 89 ATC 4070

V. Casimaty v FC of T 97 ATC 5135 VI. Moana Sand Pty Ltd v FC of T 88 ATC 4897

VII. Crow v FC of T 88 ATC 4620

VIII. McCurry & Anor v FC of T 98 ATC 4487 (10 marks, max. 1500 words).  

Verified Expert

CASE:1 XXXXXX .. 1000 words and CASE 2: Californian copper syndicate Ltd v Harris ( Surveyor of Taxes) (1904) 5 TC 159 Taxable purpose is defined in subsection 40-25(7) of the ITAA 1997 to be the purpose of producing assessable income, the purpose of exploration of prospecting the purpose of mining site rehabilitation; or environmental protection activities. The phrase “purpose of producing assessable income” is defined in subsection 995-1(1) of the ITAA 1997 to mean something done: a) For the purpose of gaining or producing assessable income, or b) In carrying on a business for the purpose of gaining or producing assessable in come.... (1500 Words)

Reference no: EM131197090

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