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BEPS - Topics of specific interest to financial services paper

Published on 18 Feb 15 by NEW SOUTH WALES DIVISION, THE TAX INSTITUTE

This paper covers:

  • action 1 - challenges of the digital economy
  • action 4 - base erosion through interest and other financial payments
  • action 6 - prevention of treaty abuse
  • action 7 - preventing the artificial avoidance of PE status
  • impact of the overlap between action items.

Author profiles:

Kate Phelan
Kate works for PwC as a Manager. Current at 14 October 2014
 
Piotr Klank CTA
Piotr Klank is a Barrister at Ground Floor Wentworth, specialising in tax. He has over 10 years' experience advising on tax and commercial matters in major law firms, a global accounting firm and as an in-house tax advisor. Piotr has a particular interest in international taxation and has assisted multinational taxpayers on disputes involving cross-border financing, hybrid instruments, PEs and transfer pricing. Current at 04 November 2016 Click here to expand/collapse more articles by Piotr KLANK.

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.

This was presented at 2015 Financial Services Taxation Conference.

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