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A new phase in Australia's double tax agreements - Part I

Published on 01 Jul 07 by "TAXATION IN AUSTRALIA" JOURNAL ARTICLE

This article examines Australia’s current treaty practice, as is evident in relation to new or proposed double tax agreements with New Zealand, France, Norway and Finland. Part 1 of the article examines a new approach to the Alienation of Property Article. Part 2 examines the new Articles dealing with assistance in the collection of taxes.

Author profiles:

David Watkins CTA
David Watkins, CTA is the leader of the Deloitte Australia Tax Insights & Policy group. David has over 25 years’ experience and has worked in Malaysia, Singapore and New York. In his current role, David’s focus is on emerging tax developments and in particular, the Australian tax reform debate and the international process addressing Base Erosion & Profit Shifting (BEPS). The Tax Insights & Policy group is involved at various stages in these emerging issues including consultation and submissions, publications and presentations and assessing the impacts of tax law changes. Current at 21 October 2016 Click here to expand/collapse more articles by David WATKINS.
 
Joanne LANGFORD

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