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.
Sue is a Partner at Clayton Utz specialising in taxation and stamp duty. She has represented a range of significant clients on the full spectrum of taxation matters including advising on transactions, international tax, general corporate tax and tax litigation. Sue has participated on various committees and consults with Treasury and the ATO on taxation issues.
- Current at
15 April 2011