Submission on non-deductibility of GIC and SIC
Non-deductibility of GIC and SIC – CA ANZ Joint Submission...
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Submission on TR 2013/5A1 - Addendum - Income tax: when a superannuation income stream commences and ceases...
CA ANZ provides support for Treasury’s amendments under Division 1 – sustainability reporting which amends the Corporations Act 2001...
CA ANZ and CPA Australia respond to IFRIC Tentative Agenda Decision: Recognition of Intangible Assets Resulting from Climate-related Expenditure (IAS 38)...
CA ANZ calls for the scope of the draft TD to be broadened and more commentary and examples be included in the ATO’s compliance approach...
Submission on Law Companion Ruling 2021/2DC - superannuation fund non-arm’s length income and expenditure...
ASBFEO review – CA ANZ CPA Joint submission...
CA ANZ and CPA Australia jointly provide feedback to ASIC in relation to regulatory guide on sustainability reporting...
With CPA Australia and IPA, we supported the intent to include non-bank lenders in the CDR and called for solutions to mitigate the costs of accreditation and compliance for small data holders...
The Joint Bodies have lodged a submission on ATO’s PCG 2024/D3 dealing with restructures and the new thin cap and debt deduction creation rules...
This submission discusses the six draft Tax Practitioner Board guidance documents regarding the Code of Conduct Determination 2024...
In a joint submission with CPA Australia and the Institute of Public Accountants we supported the intent of the proposed changes to ‘Assisting customers who don’t have standard forms of...
Joint supplementary submission on inquiry into wholesale investor and wholesale client tests...
CA ANZ provides feedback to the Department of Climate Change, Energy, the Environment and Water (DCCEEW)...
CA ANZ calls for Treasury to consider another agency to administer the tax promoter penalty laws and streamline the regulation of tax practitioners...