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 joined the EY transfer pricing practice in November 2018 as an Associate Partner. Immediately prior to joining EY, Mr Jenkins was an Assistant Commissioner in the ATO, holding the position of the ATO’s Chief Economist and leader of the ATO’s APA/MAP unit, responsible for Australia’s competent authority program. Mr Jenkins has more than 20 years specialist experience in transfer pricing, and while at the ATO was heavily involved in the re-write of Australia’s transfer pricing rules (enacted 2013). He was also an Australian delegate to the OECD’s Working Party 6 on transfer pricing matters 2010-2018.
- Current at
04 September 2019