Published on 13 Mar 08
by NATIONAL EVENTS, TAXATION INSTITUTE OF AUSTRALIA
This presentation covers:
- what foreign entity to use for the investment, ie foreign company, branch, partnership etc
- profit and cash repatriation issues and opportunities
- funding the investment
- impact of tax treaties, including allocation of taxing rights and withholding taxes etc
- treatment of related party transactions
- issues and opportunities arising from the interplay between Australian tax law and the tax law of the local jurisdiction
- examples of specific issues affecting investments in certain jurisdictions.
Mathew is a Partner at Ernst and Young and leads the International Tax group for Perth. He is a legal practitioner with over 22 years' experience in international tax focusing on the large multinational and corporate environments across Australia, the US, Europe, Asia-Pacific and Africa. Mathew specialises in international tax reform and foreign investment inbound and outbound from Australia. He is a frequent presenter with The Tax Institute and has spoken at both the National and State Conventions on international tax. He is also the WA representative on the Institutes International Tax subcommittee. In addition, Mathew is a seasoned lecturer in tax law at the University of Western Australia and Curtin University, at both postgraduate and undergraduate level.
- Current at
08 October 2015