Answer: 1). ...
Read More >>Answer: 1). Issues: The issue is related to the ascertainment of the income that is obtained from the media publications under “section 6-5 of the ITAA 1997”? Rule: Referring to the definition provided under “section 6-5 of the ITAA 1997” states that income from personal exertion refers to the income that an individual taxpayer earns from their personal efforts (Jones and Rhoades-Catanach 2015). This includes ...
Read More >>Answer: Legal framework differentiating employees from Independent Contractors: The recent cases bought forward in Australian judges and court of law have in the last years handed huge penalties and compensations against those individuals that are caught in act of mischaracterising employees and relationships of independent contract. Such cases reflects the managers, employers, directors and the companies that hire labour to be more understan...
Read More >>Answers: The module has entirely been an interesting and insightful one. Through it, I acquired the knowledge of getting to know the relevance as well as the importance of studying government, with special reference to the Government of Texas. The class was particularly useful as it gave me insights into the relationship between my major and how my major would help in handling other courses within the course outline. Through this module,...
Read More >>Answers: 1. Issue The issue here will be taking into the account whether the receipts derived from appearing in the interview shall be accounted as assessable under “section 6-5 of the ITAA 1997”? Laws “Section 6-5 of the ITAA 1997” “Scott v Commissioner of Taxation (1935)” “Brent v Federal Commissioner of Taxation (1971) ATC 4195” “Hobbs v Hussey (1942) 24 TC 153” Applica...
Read More >>Answer: (a) Factual background In the case of Arthur Murray (NSW) Pty Ltd V FCT (1965) 114 CLR 314 the dispute before the court related to the assessment of income heads and how they are to be differentiated and distinguished when filing taxes. Mr. Arthur Murray owned a performance group which periodically offered various courses which required the students to make payments as fees at regular intervals (Mumford, 2017). There were a...
Read More >>Answer: Introduction: “Subsection 6 (1) of the ITAA 1936” provides a statutory definition of permanent establishment. The term permanent establishment in respect to a person including the commonwealth or state represents a place through which an individual performs any business (Barkoczy, 2014). The definition does not restrict the generality of foregoing which includes the place from where a business performs the business wi...
Read More >>Answer: Introduction In Australia, all the rules and regulation with respect to the taxation of the income is defined by the government of Australia in the Income Tax Assessment Act 1997. The Income tax is a levy on the employment income which is received by the individual in terms of the salary and wages (Saad, 2014). The present study is based on the assessment of the income of the individual. In this study, it has been evaluated that the v...
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