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The operation of Australia’s conduit foreign income regime paper

Published on 22 Sep 10 by NEW SOUTH WALES DIVISION, THE TAX INSTITUTE

This paper covers:

  • underlying policy of the CFI regime
  • overview of the CFI rules
  • simple practical example
  • potential traps.

Author profiles:

Matt Budge
Matt is a Director in the Mergers & Acquisitions and International Tax group at PricewaterhouseCoopers in Sydney. Matt has over 10 years experience and specialises in international tax planning and the taxation aspects of cross-border financing for large multinational corporations investing into Australia, and Australian multinational companies investing abroad. Matt has a very broad range of experience in diverse industries having worked on transactions in the Perth, Melbourne and Sydney markets. Current at 28 June 2011 Click here to expand/collapse more articles by Matt BUDGE.
 
Sue Ann Khoo
Sue-Ann works for PricewaterhouseCoopers. Current at 17 August 2010

This was presented at International Tax Masterclass.

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Individual sessions






New ESS provisions & cross border employees

Author(s):  Stephen COAKLEY

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International tax rules and private equity developments

Author(s):  Chris GIBBS

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