Published on 20 May 21
by WESTERN AUSTRALIAN DIVISION, THE TAX INSTITUTE
This presentation covers the principles established by the Australian Courts in relation to the privilege available to clients to resist the production of documents communicating or recording legal advice.
Richard is a Legal Practitioner Director with Deloitte Legal in Perth. He practises in the area of income tax, duties and other revenue law and provides advice to corporate clients, private clients, accounting firms and law firms. Richard has been involved in litigating various tax and duty cases in the SAT, Supreme Court, AAT, Federal Court and High Court. He is a former State Chairman and national councillor of the Tax Institute and holds a Meritorious Service Award from the WA Division. He has delivered and authored numerous papers and articles for the Tax Institute, the Law Society of WA and other professional organisations and publications.
- Current at
11 June 2021