Published on 13 Mar 19
by NATIONAL DIVISION, THE TAX INSTITUTE
This presentation covers:
- the ATO’s increasing focus on cross-border (re)financing transactions
- a focus on the debt and equity rules and Australia’s transfer pricing regime
- a focus on real-world examples and flow-on considerations
- a focus on the thin capitalisation regime.
Stuart is a Partner in PwC’s Brisbane office specialising in international tax and the energy and resources industry. He has over 11 years experience focusing on the resources industry, including 3 years in PwC’s Sydney office advising clients on the tax implications of inbound and outbound investment with a particular focus on financing and holding structures. Stuart is a member of PwC’s Australian international tax and energy and resources focus groups and regularly contributes to PwC’s thought leadership in both areas.
- Current at
30 April 2019