Published on 01 Jul 07
by "TAXATION IN AUSTRALIA" JOURNAL ARTICLE
Michael Taylor-Sands of Maddocks considers how the CFI rules allow certain foreign income to flow through Australian corporate tax entities to non-resident stakeholders free of dividend withholding tax.
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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