TZL 0.00% 2.7¢ tz limited

bad boy back in court, page-19

  1. 1,232 Posts.
    From this material it is apparent that the plaintiff paid no income tax in Australia between 2005 and 2009.

    In 2008, the plaintiff received advice from his accountants as to his residential status for tax purposes and the tax implications of remaining an Australian resident, or becoming a United States resident. He has not, however, produced any documents which show that he paid income tax in the United States, even though there is evidence that he earned income in that period while working there, $A864,776 for the fiscal year 2009, for example.

    The plaintiff's employment ended on 2 June 2009. The evidence does not establish that he ever became a United States resident for tax purposes.

    Rather, it suggests that he has failed to pay tax.

    Reference is made in the decisions on which the defendants referred to the plaintiff being pursued for this failure by the Australian Tax Commissioner.

    When he initially returned the plaintiff resided in five star hotels. He now resides in an apartment rented from a company offering holiday apartment rentals.


    I wonder if he still has "models" and "Escorts" visit

    And for that matter is he living with his family or by himself?

    Perhaps Falconer and Otten drop in for beers on Friday arvo's to talk about the old days




 
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