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Australian legislative responses to the BEPs report - The changes so far and what you should be thinking about! paper
Published on 18 Sep 13 by NEW SOUTH WALES DIVISION, THE TAX INSTITUTE
This paper covers:
- thin capitalisation changes - safe harbour and worldwide gearing
- the arm’s length debt test - status update
- refinancing to manage thin capitalisation changes - the tips and traps!
- the interface of thin capitalisation, s25-90 and s23AJ and the status of NANE income
- transparency changes
- the repeal of s25-90 – what apportionment, allocation or tracing issues will arise.
Author profiles
Ernest Chang
Ernest Chang, FTI, is a Partner in Pricewaterhouse Cooper's International and Financial Services Tax practice in Sydney and is the Financial Services Tax Leader in Australia. Ernie has over 20 years experience advising on primarily corporate and international taxation. Prior to recently joining PwC, he was a Partner for over 15 years at another premium tax practice. He advises on a wide range of corporate tax matters including capital management, international mergers and acquisitions, due diligence investigations, foreign source income, corporate restructuring, schemes of arrangement, management buyouts, overseas investment in Australia, employee share acquisition schemes and privatisation.
- Current at
12 July 2013
Arash Azimi
Arash is a Senior Consultant at PwC. - Current at 13 February 2013
This was presented at International Masterclass .
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Legislative changes to the transfer pricing rules - The practical implications
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Australian legislative responses to the BEPs report - The changes so far and what you should be thinking about!
Author(s): Ernest Chang, Rosalind MYINT, Arash AZIMIMaterials from this session:
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Managing GST and customs duty obligations for cross-border transactions
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Non-residents and capital gains
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Establishing residence for global villagers
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