The applicant sought a reconsideration of the Court’s orders in Peter Greensill Family Co Pty Ltd (trustee) v Commissioner of Taxation [2020] FCA 559 on the grounds that the Court had overlooked material matters and points in the Judgment, namely the applicant’s submissions in the proceedings and that is was in the interests of justice for the Court to exercise such power. The applicant submitted that there was an accidental omission which could be corrected under paragraph (h) of rule 39.05 of the Federal Court Rules 2011 (Cth).
Mark Robertson QC (with Greg Antipas) appeared for the Applicant, instructed by Ernst & Young.
The judgment is available here.