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Legislation
ATO documents that consider ITAA 1997 s 83-175
18 documents
Income tax: genuine redundancy payments
Income tax: payments under the Western Hardwoods Displaced Workers Assistance Scheme
Income tax: tax treatment of payments to members of the Australian Construction Industry Redundancy Trust
Income tax: payments from Redundancy Payment Central Fund No 2 and Redundancy Payment Approved Worker Entitlement Fund 2
Income tax: voluntary separation program: Queensland Government employees
Income tax: assessable income: payments made by John Holland Group Worker Entitlement Fund to members
Income tax: tax treatment of payments to members of the Australian Construction Industry Redundancy Trust
Income tax: assessable income: payments received by employees under the Australian Portable Leave Scheme
Income tax: tax treatment of payments to members of the Australian Construction Industry Redundancy Trust
Foreign termination payment
Income tax: genuine redundancy payments
Income tax: can a payment in lieu of notice, on termination of employment, be treated as a bona fide redundancy payment?
Income tax: is a redundancy payment from a redundancy trust, established based on the Building Industry Agreement of 1 October 1987, considered to be a bona fide redundancy payment under section 27F of the Income Tax Assessment Act 1936?
Superannuation, retirement & employment termination: Eligible termination payments and Bona fide redundancy
Superannuation, retirement & employment termination: Eligible termination payments and bona fide redundancy payments
Superannuation, retirement and employment termination: Eligible termination payments. Bona fide redundancy. No agreement to re-employ.
Transitional redundancy payments
Transitional redundancy payments