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The Sham Doctrine and Tax Law

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dc.contributor.author Williams, Katherine
dc.date.accessioned 2011-08-16T20:56:46Z
dc.date.accessioned 2022-10-27T03:07:40Z
dc.date.available 2011-08-16T20:56:46Z
dc.date.available 2022-10-27T03:07:40Z
dc.date.copyright 2010
dc.date.issued 2010
dc.identifier.uri https://ir.wgtn.ac.nz/handle/123456789/25631
dc.description.abstract This paper considers the common law sham doctrine and its inability to achieve appropriate outcomes in tax cases. Tax cases raise particular issues that normal contractual cases do not. Generally for a sham to exist the common intention of parties to a transaction must be to deceive a third party. This requirement may result in a deceptive tax planning scheme escaping liability, where one party does not have an intention to deceive. The requirement for common intention has been altered in other areas of law such as employment and tenancy law. The requirement of common intention should now be altered in tax law. Instead of requiring all parties to a transaction to intend to deceive, just being reckless as to whether deceit occurs should be enough. Altering this requirement to allow recklessness should be limited to the party not receiving the tax benefit. Lowering the common intention threshold in this way would lead to better results in tax cases. The courts also need to be more willing to engage in an analysis of sham, in cases where this is warranted. The current reluctance by the courts to consider sham law in some of the most appropriate cases creates a flaw in the judicial process that is open to exploitation by taxpayers. A sham analysis, if adapted for tax law, could be a useful tool in preventing taxpayers from reducing their tax liability in unlawful ways. en_NZ
dc.format pdf en_NZ
dc.language en_NZ
dc.language.iso en_NZ
dc.publisher Te Herenga Waka—Victoria University of Wellington en_NZ
dc.subject Taxation en_NZ
dc.subject Deception en_NZ
dc.title The Sham Doctrine and Tax Law en_NZ
dc.type Text en_NZ
vuwschema.contributor.unit School of Law en_NZ
vuwschema.type.vuw Masters Research Paper or Project en_NZ
thesis.degree.discipline Law en_NZ
thesis.degree.grantor Te Herenga Waka—Victoria University of Wellington en_NZ
thesis.degree.name Master of Laws en_NZ


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