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Article
Vol. 9, Issue 1, 1997January 01, 1997 AEST

The Income Tax Implications of a Foreign Individual Contracting to do Business in Australia, with Particular Reference to the Concepts of ‘Residence’ and ‘Source’

Michelle Wills,
foreign contractorsdouble taxation agreementsincome taxinternational contractscontract law
Copyright Logoccby-nc-nd-4.0 • https://doi.org/10.53300/001c.5291
Bond Law Review
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