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Australian taxation aspects of major funding transactions - Part 1


Australian business needs to efficiently access the financial markets within Australia and overseas. Australian income tax laws provide both traps and opportunities for Australian companies financing Australian and overseas operations. This is the first of a two part series discussing these Australian tax issues.

Click here to view Part II of this series which was published in the August 2005 edition of The Tax Specialist.

This article was presented at the 20th National Convention, held in Perth from 16 to 19 March 2005.

Author profile

Anthony Clemens
Tony is a Senior Tax Partner of PricewaterhouseCoopers, specialising in international taxation. He has a role of advising many of the clients of the firm with international tax related transaction. He has been a partner for 24 years and specialises in cross border transactions and international financing. - Current at 22 November 2005
Click here to expand/collapse more articles by Tony CLEMENS.


This was presented at 20th National Convention: Tax Unmasked .

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