Published on 11 Oct 12
by VICTORIAN DIVISION, THE TAX INSTITUTE
Recent case law and legislation in response have changed the landscape on transfer pricing matters for good. This paper provides you with an up-to-date review from the ATO's perspective, of this growing area of advice and enable you to tackle the current and future transfer pricing issues.
Michael Jenkins CTA
Michael has worked in the area of transfer pricing and international tax for around 15 years, both in the ATO and in a professional services environment. He is currently an Assistant Commissioner in the Public Groups & Internationals business line of the ATO. Michael is involved in a number of major transfer pricing cases, and leads a team involved in the development of the ATO’s guidance products related to the transfer pricing provisions enacted in 2013. He is currently the Australian delegate to the OECD’s Working Party No. 6 on transfer pricing matters, and was the Australian competent authority for transfer pricing matters from 2010 to 2012. Current at 02 June 2015
The Tax Institute is a Recognised Tax Agent Association (RTAA) under the Tax Agent Services Regulations 2009.
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