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Inbound interest-free loans: part 2

Published on 01 Jun 21 by "TAXATION IN AUSTRALIA" JOURNAL ARTICLE

This is the second part of a two-part article that considers tax issues that can arise in relation to inbound interest-free loans. The first part focused on the varied circumstances in which an interest-free loan could be treated as an equity interest for tax purposes.

Author profile

Ellen Thomas ATI
Ellen is a tax lawyer based in Sydney. She focuses on the tax aspects of M&A and finance transactions, as well as tax audits and dispute resolution. She advises on a range of domestic and international M&A transactions, corporate restructures, post-acquisition integrations, international tax planning, distressed debt transactions, infrastructure investments and financial arrangements. Ellen also has extensive experience in dealing with the Australian Taxation Office, including in relation to ruling applications, audits and dispute resolution. - Current at 14 March 2018
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