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CIR v Peterson
I appeared as lead counsel. The litigation went all the way to the Privy Council. It is a leading case as to what constitutes tax avoidance and whether there must be consensus as to the content of an arrangement.
Glenharrow Holdings Ltd v CIR
I appeared as lead counsel. This case concerns the point at which privilege applies in the statutory disputes resolution procedure.
Peterson v CIR (No 2)
I appeared as lead counsel. It is the companion case to Peterson (No 1) and ultimately went to the Privy Council and is a leading case on tax avoidance.
Reefdale Investments Ltd v CIR
I appeared as lead counsel. This is the leading case on whether the Commissioner can obtain security for costs in principle.
Trustees in the CB Simkin Trust v CIR
I appeared as lead counsel. The Case is the first and leading case as to the technical requirements for depreciable intangible property.
Milburn NZ Ltd v CIR
I appeared as lead counsel. The case is a leading decision on the capital revenue distinction.
CIR v Suzuki New Zealand Ltd
I appeared as lead counsel. This case concerns the GST treatment of warranty reimbursements in the context of three way supplies.
Douglas v CIR
I appeared as lead counsel. This case concerned the application of the asset accretion process to the proceeds of a drug operation.
Tagasoft v CIR
I appeared as lead counsel. This case concerns the limits of the tax secrecy provisions.
Housing New Zealand v CIR
I appeared as lead counsel for the Commissioner. The case concerned the ability of taxpayers to seek declaratory judgment proceedings.