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Australian international taxation: recent developments and practical implications paper


Since the Ralph Report of the late 1990s, the Australian international tax rules have been subject to ongoing reforms. This paper aims to analyse the practical implications for both inbound outbound investors of some recent legislative reforms, court cases, overseas developments and announced future reforms, including:

  • tax planning since NITA
  • international tax implications of the 2005/06 Federal Budget
  • cross border royalty arrangements post McDermott Industries - withholding tax or business profit?
  • UK treatment of hybrids - what is the impact for us?

Author profiles:

Anthony KLEIN
Anthony Klein FTIA is a Tax Partner of PricewaterhouseCoopers, based in Melbourne, and has been a member of the PwC International Tax and Transaction Services group for more than 14 years. He specialises in providing international tax, structuring and mergers and acquisitions tax services to a wide range of clients.
Current at 9 October 2008 Current at 03 November 2008 Click here to expand/collapse more articles by Anthony KLEIN.
Current at 25 May 2009 Click here to expand/collapse more articles by Liam COLLINS.


This was presented at 44th Victorian State Convention: Surfing the Wave .

Get a 20% discount when you buy all the items from this event.

Individual sessions

Part IVA and Division 165: where are we now and where are we heading?

Author(s):  Richard F EDMONDS

Materials from this session:

Division 7A revisited

Author(s):  Arthur ATHANASIOU

Materials from this session:

Capital structuring for corporate groups

Author(s):  Gordon THRING

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Tax cases, rulings and announcements that have changed the tax landscape

Author(s):  Keith JAMES

Materials from this session:

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