Huang v Deputy Commissioner of Taxation [2020] FCA 1518

PRACTICE AND PROCEDURE — application for a stay of the orders of the Full Court of the Federal Court — where freezing order made in relation to assets in Australia and overseas — where appellant has substantial assets in Hong Kong and China — where appeal allowed and order set aside with respect to overseas assets — where application made for special leave to appeal to the High Court of Australia — consideration of the prospects of success of the application for special leave — consideration of the balance of convenience


Full decision here

Recent

5/205 William St
Melbourne, 3000
Australia

©2018 Tax Bar Association of Victoria