Skip to main content
shopping_cart

Your shopping cart is empty

Inbound Thin Capitalisation Rules

Published on 03 Apr 01 by NEW SOUTH WALES DIVISION, THE TAX INSTITUTE

This powerpoint presentation considers the application of the proposed thin capitalisation rules to Australian entities that are foreign controlled and foreign entities that operate in Australia. The paper focuses on the provisions contained in Subdivision 820-C which applies to inward investing entities that are not approved deposit-taking institutions (ADIs). Part 2 of this paper outlines the rules as they apply to inward investing entities. Part 3 highlights various issues for inward investing entities some of which are currently being addressed by the Government.

Author profile:

Anthony Clemens
Tony Clemens FTIA is a Partner in the Mergers and Acquisitions/International Tax Services Group at PricewaterhouseCoopers in Sydney. Since 1988 Tony has been a Lead Partner of the Australian Tax, Mergers and Acquisitions, and International Group. Current at 06 May 2009 Click here to expand/collapse more articles by Tony CLEMENS.
 

This was presented at Thin Capitalisation and Debt/Equity Rules.

Get a 20% discount when you buy all the items from this event.

Individual sessions



Further details about this event:

 

Copyright Statement