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Changes to the foreign source income provisions
Published on 25 Jul 97 by NEW SOUTH WALES DIVISION, THE TAX INSTITUTE
Topics covered include:
- Calculation of attributable income for limited-exemption listed countries
- foreign tax credits for limited-exemption listed countries
- calculation of attributable income for broad-exemption listed countries
- changes to characterisation of countries
Author profile
Richard Dukes
Richard is a Partner of Atanaskovic Hartnell and heads up their tax practice. Richard specialises in corporate tax including structuring into and out of Australia, transfer pricing, tax disputes and corporate reorganisations. He has previously lectured and written papers for the Taxation Institute of Australia on the foreign source income rules since their introduction in 1990. - Current at 20 September 2010
This was presented at Annual Intensive Seminar 1997 .
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Individual sessions
Interest deductibility for corporations
Author(s): Richard F EDMONDSMaterials from this session:
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Tax due diligence
Author(s): John KIRKWOODMaterials from this session:
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Corporate losses/ownership tracing rules: "mine and thine"
Author(s): Robin SPEEDMaterials from this session:
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Tax effective share buy backs
Author(s): Christopher CATTMaterials from this session:
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Changes to the foreign source income provisions
Author(s): Richard DUKESMaterials from this session:
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Corporate re-organisations and anti-avoidance provisions
Author(s): The Hon. Justice Ian GZELLMaterials from this session:
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Employee renumeration
Author(s): Gil LEVYMaterials from this session:
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Privatisation/corporations/floats
Author(s): Tony PROCTORMaterials from this session:
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