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Mandatory disclosure regime presentation

Published on 07 Feb 18 by NEW SOUTH WALES DIVISION, THE TAX INSTITUTE

This presentation covers:

  • the pros and cons of an MDR
  • how an MDR would work practically (in conjunction with the reportable tax position schedule, or some other disclosure)
  • what design options have been considered (including the UK's DOTAS regime and the OECD's work on BEPS Action 12)
  • what is the best design for an MDR in Australia.

Author profile

Karen Payne CTA
Karen was appointed Inspector-General of Taxation & Taxation Ombudsman commencing on 6 May 2019. She leads the Taxation Ombudsman complaints management service for taxpayers and advisers and the Inspector-General of Taxation’s review and public reporting function, both of which are directed at improving the tax administration system for all taxpayers. Karen was previously a Member of the Board of Taxation as well as the inaugural Chief Executive Officer of the Board of Taxation. She was formerly a partner with MinterEllison, specialising in corporate and international tax for mergers and acquisitions, and capital raising for the financial services, mining, energy, and utilities sectors. She brings a wealth of experience and extensive networks to the role of Inspector-General having worked with a range of government and private stakeholders as well as the legal and tax profession, and many industry bodies. - Current at 23 February 2020
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This was presented at 2018 Financial Services Taxation Conference .

Get a 20% discount when you buy all the items from this event.

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The ATO’s approach to significant financial services tax issues

Author(s):  Jeremy HIRSCHHORN

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Author(s):  Shane Oliver

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Australia’s hybrid mismatch rules: Application and interactions

Author(s):  Manu SRISKANTHARAJAH

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Tax transparency initiatives – The current state of play

Author(s):  Chris Vanderkley,  Helen Kelly

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Stapled groups

Author(s):  Andrew Hirst

Materials from this session:

Further details about this event:

 

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