Practical implications of Australia’s recent tax treaties paper

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Publication date: 19 May 11

Source: NEW SOUTH WALES DIVISION, THE TAX INSTITUTE

Abstract:

This paper covers:

  • implementing and interpreting tax treaties
  • residence and attribution of income
  • business profits
  • collective investment vehicles
  • expatriates
  • exchange of tax information.

Author profile:

Author Photo - Richard Vann CTA
Prof Richard Vann CTA
Richard is Challis Professor of Law at the University of Sydney and a Consultant at Greenwoods & Freehills. He has also taught at NYU Law School, Harvard Law School and the University of London. He has held many government consultancies in Australia, including the Review of Business Taxation (1998-1999), the Review of International Taxation (2002-2003) and the Australian Taxation Office Public Rulings Panels on international and indirect taxation (1995-2007). Most recently he has been involved in various Board of Taxation work on managed investment trusts and collective investment vehicles, and the attribution of profits to permanent establishments. Richard is the Editor-in-Chief of the IBFD Global Tax Treaties Commentaries now being progressively published online.
Current at 05 September 2014
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