Published on 15 Feb 01
by NEW SOUTH WALES DIVISION, THE TAX INSTITUTE
This paper looks at the treatment of assets on joining, forming or leaving a consolidated group.
David is an International Tax Partner at Deloitte. David has over 20 years experience in
corporate and international tax, including as a partner with Big 4 firms and a leading law firm. He has spent a number of years working in Malaysia and Singapore. David is a member of the ICAA International Tax Committee, has been a member of ATO / Treasury consultation committees and has appeared before Senate Committees on international tax matters. His experience includes a wide range of inbound and outbound structures with a focus on CGT, double tax agreements and foreign hybrids. His work has also included domestic and international tax issues associated with private equity and venture capital.
Current at 18 September 2008 Current at 27 April 2009
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