Submission on PUB00500c – Shortfall penalties – reductions and other matters
CA ANZ’s feedback on the draft interpretation statement...
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CA ANZ’s feedback on the draft interpretation statement...
PCG 2025/D5 outlines a risk-based compliance framework for the first year of Payday Super, categorising employers as low, medium, or high risk based on their efforts to comply with SG obligations...
CA ANZ comments on the Tax Ombudsman’s 2026 workplan refresh...
CA ANZ’s submission to Jobs and Skills Australia recommends retaining key roles, adding emerging occupations and reforming migration pathways...
CA ANZ’s feedback on the Bill...
Chartered Accountants Australia and New Zealand (CA ANZ) provides feedback to the FMA...
CA ANZ’s feedback on the draft interpretation statement...
CA ANZ has lodged a submission into the Tax Ombudsman’s review of the ATO’s management of remission of the general interest charge...
CA ANZ responds to Finance and Expenditure Committee Interim Report on the Inquiry into Performance Reporting and Public Accountability...
CA ANZ supports the Australian Government's Strategy for Nature, advocating for collaboration, clear targets, and business integration to achieve sustainability goals...
CA ANZ responds to inquiry into the Payroll Tax Amendment Bill 2025 (ACT) regarding complexity and unintended consequences...
CA ANZ response to AASB Agenda Consultation 2027–2031 Survey...
CA ANZ provided feedback to each proposal and considered the priority is the removal of search fees from ASIC registers and linking the director ID’s to associated companies...
CA ANZ and other bodies calling to establish a standard expert body, similar to the former Corporations and Markets Advisory Committee (CAMAC), to work on streamlining and updating the law...
CA ANZ’s feedback on the draft QWBA...