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Anti profit shifting measures paper

Published on 22 Jul 09 by NEW SOUTH WALES DIVISION, THE TAX INSTITUTE

This paper covers:

  • thin capitalisation and transfer pricing issues for inbound investors and Australian companies investing overseas
  • worked examples of thin capitalisation calculations
  • practical approach to transfer pricing documentation
  • intra-group finance guarantees and loans ATO discussion paper.

Author profiles

Zubair Bangash CTA
Zubair is a Director, Head of MAS at TMF Group, a global specialised outsource provider of (among other services) accounting and tax compliance services. With close to 17 years tax experience, including at one large and one mid-tier accounting practice, Zubair has provided tax services to numerous clients, including large multi-national companies as well as key clients with overseas operations. In his current role, he assists inbound multinationals in establishing their businesses in Australia, ensuring they are compliant for tax and regulatory purposes. - Current at 30 August 2017
Click here to expand/collapse more articles by Zubair BANGASH.
Garvin Adair
Garvin works for Grant Thornton. - Current at 15 September 2017

 

This was presented at An Introduction to Australia's International Taxation System .

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Individual sessions




Australia’s double tax agreements

Author(s):  Robert DEUTSCH

Materials from this session:


Current issues in expatriate taxation

Author(s):  Stephen COAKLEY

Materials from this session:

Further details about this event:

 

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