Taxation Administration Act 1953
Pt IA inserted by No 123 of 1984.
(Repealed by No 145 of 2010)
S 3EA repealed by No 145 of 2010, s 3 and Sch 2 item 110, effective 17 December 2010. S 3EA formerly read:
Penalty: Imprisonment for 2 years. Section
3EB
deals with the use by a legal practitioner of tax information provided by ASIO.
SECTION 3EA USE BY ASIO OFFICERS OF TAX INFORMATION
3EA(1)
Despite any taxation secrecy provision, the Commissioner may disclose tax information to an authorised ASIO officer if the Commissioner is satisfied that the information is relevant to the performance of ASIO
'
s functions under subsection 17(1) of the
Australian Security Intelligence Organisation Act 1979
(
ASIO
'
s 17(1) functions
).
3EA(2)
Subject to this section, if a person who is or has been an ASIO officer obtained tax information under subsection (1) or (3) of this section or subsection 3EC(2), the person must not communicate or divulge the information to another person, or make a record of the tax information.
3EA(3)
In relation to a person who is an ASIO officer, each of the following is an exception to the prohibition in subsection (2):
(a)
making a record of the information for the purposes of, or in connection with, the performance of the ASIO officer
'
s duties in carrying out ASIO
'
s 17(1) functions;
(b)
divulging or communicating the information to another ASIO officer for the purposes of, or in connection with, the performance of that ASIO officer
'
s duties in carrying out ASIO
'
s 17(1) functions;
(c)
divulging or communicating the information to a solicitor or barrister representing a person in:
(i)
a prosecution of a person for a tax-related offence; or
for the purposes of, or in connection with, the prosecution or proceedings;
(ii)
proceedings for the making of a proceeds of crime order;
Note:
(d) divulging or communicating the information to an IGIS officer for the purposes of, or in connection with, the performance of that IGIS officer ' s duties in relation to ASIO or employees of ASIO;
Note:
Section 3EC deals with the use by an IGIS officer of tax information provided by ASIO.
(e) divulging or communicating the information to a law enforcement agency officer for the purposes of, or in connection with:
(i) the investigation of a serious offence; or
(ii) an investigation relating to the making, or proposed or possible making, of a proceeds of crime order; or
(iii) the prosecution, or proposed or possible prosecution, of a person for a tax-related offence; or
(iv) the proceedings, or proposed or possible proceedings, for the making of a proceeds of crime order.
Note:
Section 3E deals with the use by a law enforcement agency officer of tax information provided by ASIO.
3EA(4)
If a person who is or has been an ASIO officer obtained tax information under subsection (1) or (3) of this section or subsection 3EC(2), the person must not:
(a) be required to divulge or communicate the information to a court; or
(b) voluntarily give the information in evidence in proceedings before a court, except in the course of:
(i) the prosecution of a person for a tax-related offence; or
(ii) the proceedings for the making of a proceeds of crime order.
3EA(5)
A reference in this section to:
(a) the possible making of a proceeds of crime order in respect of a person; or
(b) the possible proceedings for the making of a proceeds of crime order in respect of a person;
includes a reference to, the making of an order, or proceedings, that are only a possibility at the time in question because the person has not been convicted (within the meaning of section 5 of the Proceeds of Crime Act 1987 ) of an offence to which the order relates.
3EA(6)
In this section:
proceeds of crime order
has the meaning given by section
3E
.
serious offence
has the meaning given by section
3E
.
taxation secrecy provision
has the meaning given by section
3E
.
tax information
means information acquired by the Commissioner under the provisions of a tax law.
tax law
has the meaning given by section
3E
.
tax-related offence
has the meaning given by section
3E
.
S 3EA inserted by No 161 of 1999.
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