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Anti profit shifting measures paper
Published on 17 Aug 10 by NEW SOUTH WALES DIVISION, THE TAX INSTITUTE
This paper covers:
- debt/equity rules
- thin capitalisation
- transfer pricing - Division 13 ITAA 1936.
Author profile
John Ross
John has been advising on tax issues for over 30 years and has considerable experience in advising clients on a broad range of tax issues including tax efficient structuring for investing in and out of Australia, corporate reorganisation strategies and cross-border employment issues. John has been a tax director in five countries and brings his extensive international experience to assist clients in expanding their Australian operations overseas. He specialises in transfer pricing assignments for Pitcher Partners’ corporate clients. - Current at 23 October 2013
This was presented at An Introduction to Australia’s International Taxation System .
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Who is a resident of Australia?
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How is source determined?
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Anti profit shifting measures
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International withholding taxes
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Current issues in expatriate taxation
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