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International Aspects of Consolidations

Published on 15 Feb 01 by NEW SOUTH WALES DIVISION, THE TAX INSTITUTE

This paper looks at the international aspects of consolidation, including: Foreign owned groups with multiple entry holding companies - special rules; Structuring foreign investment into Australia under the consolidation regime; and how thin capitalisation, CFC and other international tax rules interact with the consolidation regime.

Author profile:

Alfonso Capito FTI
Alf is a Senior Tax Partner and head of Ernst & Young’s Tax Policy Group. He has more than 20 years’ experience, with a focus on international tax. Alf has been closely involved in the reform of Australia’s international tax regime and is a regular presenter and commentator on tax issues, including co-authoring the White Paper prepared by the Business Council of Australia, which was used as a basis for the Australian Government’s Review of International Tax Arrangements. Alf was also a member of the Australian Financial Centre Task Force and an adviser to the Business Tax Working Group and continues to be involved in tax policy and design reforms impacting corporate Australia. Current at 07 October 2014 Click here to expand/collapse more articles by Alf CAPITO.
 

This was presented at Consolidation: How Aware are you of the Issues?.

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Individual sessions



How to Utilise Losses Within a Consolidated Group

Author(s):  Tony COOPER

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