Published on 01 Oct 04
by "THE TAX SPECIALIST" JOURNAL ARTICLE
This paper considers the implications of recent legislative changes in the context of four commonly used outbound holding structures.
Michael Taylor-Sands FTI
Michael is a Partner with Maddocks. He joined the Revenue Group of Maddocks in 2005 having previously been a Senior Associate at Baker & McKenzie. Michael has considerable experience in consulting on income tax and state tax issues to a wide range of corporate and non-corporate clients. He has advised large multi-national and Australian corporate groups in the manufacturing, property development/investment and gaming/casino industries. Current at 15 April 2011
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