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International aspects of debt equity

Published on 13 Feb 02 by NATIONAL EVENTS, TAXATION INSTITUTE OF AUSTRALIA

This seminar paper looks at whether there are inconsistencies between the debt equity rules and our international tax rules, what are the implications of cross-border hybrids, how do our rules mesh into other country regimes, what is the relvance of Part IVA to hybrids?

Author profile

Alfonso Capito
Alf is a senior member of EY’s Tax Policy Group in Asia Pacific. He has had a long career in the tax advisory space and now deals with Treasury and other Tax Policy Makers on a regular basis. He also interacts with senior ATO officers in his role as well as having regular interaction with key firm clients on policy and tax administration matters - Current at 29 September 2022
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This was presented at Financial Services Taxation Conference 2002 .

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