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MITs, CIVs, IMR and other TLAs: Developments and current issues for inbound capital flows presentation

Published on 02 Mar 11 by NATIONAL DIVISION, THE TAX INSTITUTE

This presentation covers:

  • revised MIT Withholding Regime
  • scope of the MIT definition
  • elective CGT treatment for certain MIT assets
  • BoT MIT review and government response
  • proposed investment manager regime
  • collective investment review – Next generation?

Author profile

Andrew Mills CTA-Life
Photo of author, Andrew MILLS Andrew has overall responsibility for the ATO’s law practice, including law interpretation, dispute resolution and the ATO’s role in policy and law design. Andrew has more than 30 years of experience in taxation, including periods in the ATO, commerce and the tax profession. Andrew was a Director at Greenwoods & Freehills for more than 20 years and managing director of the firm from 2006–11. Andrew was President of The Tax Institute in 2006–07, is a former Governor of the Taxation Research Foundation and also represented industry bodies across a number of sectors. He holds a Bachelor of Business, a Master of Laws and a Graduate Diploma in Tax Law. Andrew is a Chartered Taxation Adviser (Life) of The Tax Institute, a member of the International Fiscal Association and a graduate of the Australian Institute of Company Directors. - Current at 17 October 2017
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This was presented at 26th National Convention .

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