The taxpayer has withdrawn and discontinued her appeal to the Full Federal Court from the decision of the AAT in Ransley and CofT [2018] AATA 4359. The AAT had decided that the profit on the sale of shares in a mining company was assessable income and not, as contended by the taxpayer, a capital gain.

[LTN 82, 2/5/19; Tax Month – May 2019]

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