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The MIT review - What’s in it for you presentation?


This presentation covers:

  • speculation about Government's final response:
    • how to address uncertainty through a specific tax regime?
  • the Government's interim response:
    • capital account safe harbour for eligible MITs
    • exposure draft legislation - new Division 275:
      • eligible assets
      • what is an eligible MIT?

Author profile

Karen Payne CTA
Karen, CTA, was appointed as the inaugural Chief Executive Officer of the Board of Taxation, effective 31 March 2016. She is also a Member of the Board of Taxation, appointed in May 2015. She chaired the Board’s working group that advised on the implementation of the OECD hybrid mismatch rules – both generally and specifically in relation to regulatory capital. Karen was a member of the Board of Taxation advisory panel and assisted with the reviews of tax arrangements for managed investment trusts, venture capital limited partnerships, collective investment vehicles , the investment manager regime and the arm’s-length debt test. Karen was previously a Partner at Minter Ellison focusing on international and corporate taxes for the financial services industry, and mining, energy and utilities sectors. Karen has assisted domestic and international corporates and funds (equity, infrastructure, property, private equity and venture capital) with advice on structure, M&A and taxation due diligence. - Current at 09 December 2017
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This was presented at 2010 Financial Services Taxation Conference .

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Individual sessions

Preference shares and nonshare equity

Author(s):  Monica JORDAN

Materials from this session:

St George Bank case update

Author(s):  Deborah HASTINGS

Materials from this session:

Tax accounting issues affecting the financial services industry

Author(s):  David L WILLIAMS,  Stef MASON

Materials from this session:

Division 230 and equity interests

Author(s):  Euan CAMPBELL

Materials from this session:

Division 974 and limited recourse debt

Author(s):  Euan CAMPBELL

Materials from this session:

Paragraph 177EA(17)(ga)

Author(s):  Peter WALMSLEY

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