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An update on changes to Australia’s international tax system - Inbound investment paper
Published on 18 May 10 by NEW SOUTH WALES DIVISION, THE TAX INSTITUTE
This paper covers:
- Myer/TPG overview
- the revenue/capital distinction
- treaty benefits and fiscally transparent entities.
Author profiles
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 2005Jonathan Malone CTA
Jonathan is a Partner in PwC’s Global Tax Practice with over 18 years experience as a corporate tax adviser, specialising in international tax, M&A, cross-border related party arrangements and tax policy considerations. Jonathan advises global technology companies on their operations in Australia, along with the tax implications arising from cross-border transactions. - Current at 26 June 2019James Nickless
James Nickless is a tax partner specialising in transfer pricing and international tax at PwC. James has significant experience advising on cross-border funding structures from a transfer pricing and international tax perspective. James has advised a variety of infrastructure investors in relation to their capital structures as well as cross-staple lease pricing.James has been involved with the ATO and Treasury consultation process in relation to guidance on related party debt arrangements, the diverted profits tax and anti-hybrid rules. James is a Member of Chartered Accountants Australia & New Zealand. - Current at 05 May 2018
This was presented at 3rd Annual Tax Forum .
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