The Tax Institute and the Taxation Committee of the Business Law Section of the Law Council of Australia (together the Professional Bodies) thank the Treasury for the opportunity to make a submission in respect of proposed s. 8AAZLGA of the Taxation Administration Act 1953 (s. 8AAZLGA).
Two observations are required at the outset: the first concerning consultation time frame and the second concerning the complete absence of appropriate checks and balances.
maintenance