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MEC groups and evolving international tax issues


In this paper, Peter Collins and Rob Bentley explore a number of topical issues and anomalies that arise out of the application of the Australian income tax rules to MEC groups in an international tax context.

Author profiles:

Peter Collins FTI
Peter is a specialist in international tax at PwC, assisting foreign investors to structure their Australian investments and Australian corporates who are expanding offshore. He works with the firm’s global tax network to develop solutions for clients and is the leader of the Australian firm’s International Tax Services group. Peter is a member of the Australian Treasury’s BEPS Tax Advisory Group and participated in the G20 BEPS Tax Symposium and the BCA BEPS workshop in 2014. Current at 18 August 2016 Click here to expand/collapse more articles by Peter COLLINS.
Rob Bentley ATI
Rob has worked with PwC for over 12 years specialising in international tax and Mergers and Acquisitions. Rob is PwC's Head of Mining for the Tax Practice in WA and provides services to a number of mining and mining services clients. Rob provides advice to a number of multinational and ASX listed clients on M&A transactions, cross-border funding and repatriation, tax consolidation and corporate reorganisations. Current at 01 November 2013 Click here to expand/collapse more articles by Rob BENTLEY.
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