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Transfer pricing implications of related party funding arrangements presentation

Published on 01 Nov 07 by NEW SOUTH WALES DIVISION, THE TAX INSTITUTE

This presentation covers:

  • why this issue is important
  • the evolution of ATO thinking
  • the implications for planning and pricing of intercompany funding arrangements
  • whether further guidance can be expected.

Author profile:

Author Photo - Paul Balkus
Paul Balkus
Paul is the co-leader of Ernst & Young’s Oceania Transfer Pricing practice. He has over 20 years experience in the field of tax and transfer pricing including significant experience in servicing clients across most industries including financial services, mining and resources, pharmaceutical and fast moving consumer goods. Paul has been involved in all aspects of transfer pricing including advance pricing arrangements, dispute resolution, planning and documentation. More specifically, Paul’s experience has included addressing transfer pricing issues in connection with inter-company arrangements involving supply chain restructuring arrangements, global funds management, credit and performance guarantees, global trading and intercompany financing. Current at 02 June 2014 Click here to expand/collapse more articles by Paul BALKUS.
 

This was presented at Annual Corporate Tax Intensive: Complex Tax Issues Uncorked.

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

Individual sessions





Transfer pricing implications of related party funding arrangements

Author(s):  Paul BALKUS

Materials from this session:



The current cross border co-operation arrangements between revenue authorities

Author(s):  Jan Farrell

Materials from this session:





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