P-ISSN 1034-7747
E-ISSN 2202-4859
Vol. 1, Issue 1, 1990January 01, 1990 AEST
Perspectives on the proposed double taxation agreement between Papua New Guinea and Australia
Perspectives on the proposed double taxation agreement between Papua New Guinea and Australia
Articles in Vol. 1, Issue 1, 1990
Vol. 1, Issue 1, 1990
- Editorial for the Inaugural IssueJim CorkeryGeorge Hinde
- Self-assessment legislation : the tip of the taxation icebergBrian F Harmer
- Specific legislative responses to international transfer pricing - a trans-Tasman comparisonMartin Smith
- Perspectives on the proposed double taxation agreement between Papua New Guinea and AustraliaKibuta Ongwamuhana
- The taxation consequences of futures in AustraliaMartin Markovic
- Alternative Structures for Business and InvestmentIan W HazzardPeter J McKnoulty
- Capital Gains and other Taxes : Their Relevance to Family LawIan Kennedy
- The Commissioner's Right of Access to Records - Recent Cases on Sections 263 and 264 of the Income Tax Assessment ActGreg BitomskyA Chappell
- The 'Everett-Assignment' Reconsidered : Hadlee v Commissioner of Inland RevenueKwai-Lian Liew
Ongwamuhana, Kibuta. 1990. “Perspectives on the Proposed Double Taxation Agreement between Papua New Guinea and Australia.” Revenue Law Journal 1 (1). https://doi.org/10.53300/001c.6525.