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Australian Parliament considers International Tax package

Publication date: 11 Jun 07 | Source: TAX NOTES INTERNATIONAL

Issue: Vol. 46 no. 11 2007

Pages: pp.1095-01

This article examines issues of the international tax bill, such as restrictng access to exempt from interest withholding tax, imposition of a witholding obligation on managed funds, tax on resident trustees, Australia's conduit foreign income measures.

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Author profiles

Prof Graeme Cooper FTI
Photo of author, Graeme COOPER Graeme is Professor of Taxation Law at The University of Sydney and a consultant to Greenwoods & Herbert Smith Freehills. He is a former Chair of the New South Wales State Council of The Tax Institute and former member of the National Council. He has worked as a consultant to the ATO, Treasury, Board of Taxation, United Nations, OECD, World Bank, the International Monetary Fund and several foreign governments. He was admitted to legal practice in New South Wales and Victoria, and practised commercial law and tax in Sydney before entering teaching. He has taught in law schools in Australia, Europe and the United States, and holds degrees from the University of Sydney, University of Illinois and Columbia University, New York. - Current at 26 June 2019
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Michael has been a director of Greenwoods & Freehills Pty Limited since 1998. He joined Greenwoods & Freehills in December 1994, following seven years with various firms. He has responsibility advising on the day to day tax affairs of companies across various industries including construction, property development and finance. His experience covers a wide range of corporate tax issues on matters such as structuring acquisitions, restructuring, overseas investments and tax audit management.
Current at December 2002
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