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Transfer pricing: The ATO perspective presentation

Published on 11 Oct 12 by VICTORIAN DIVISION, THE TAX INSTITUTE

Recent case law and legislation in response have changed the landscape on transfer pricing matters for good. This paper provides you with an up-to-date review from the ATO's perspective, of this growing area of advice and enable you to tackle the current and future transfer pricing issues.

Author profile

Michael Jenkins CTA
Michael Jenkins, CTA, is an EY transfer pricing partner based in Melbourne. He has worked in the field of transfer pricing since the 1990s. His transfer pricing expertise includes dispute resolution while in practice; and as the leader of the ATO’s APA/MAP unit and Australian competent authority. He was heavily involved in the development of Australia’s transfer pricing rules (Division 815) and was an Australian delegate to the OECD’s transfer pricing working party (WP6) 2010-2018. - Current at 04 June 2025
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This was presented at 51st Victorian State Convention .

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Resolving tax disputes

Author(s):  Michael Bearman

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Transfer pricing: The ATO perspective

Author(s):  Michael JENKINS

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Family trusts and the family court

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The new Part IVA - Clarification or extension?

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Cases review

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The new transfer pricing rule

Author(s):  Michael SELTH

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Reportable tax positions

Author(s):  Judy MORRIS

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