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CFC changes paper
Published on 22 Sep 10 by NEW SOUTH WALES DIVISION, THE TAX INSTITUTE
This paper covers:
- release of the Treasury's second consultation paper on reform of the CFC rules
- policy objectives and drafting approach
- definition of CFC -accounting concepts of control
- prima facie passive income
- the ‘active business income' exemption
- application of the integrity rule (part 30)
- interaction of participation interests and the dividend exemption.
Author profile
Neil Billyard CTA
Neil is a Partner in International Corporate Tax at KPMG. Neil has over 22 years corporate tax experience and specialises in foreign merger and acquisition activities of Australian multi-nationals, cross-border funding, the repatriation of profits and other related structuring. He is actively involved in working with Treasury and government on a variety of international tax reform issues, including assisting with policy development and drafting of legislation. He has lectured the Master of Laws/Tax course at the University of Sydney and is a regular presenter for The Tax Institute. - Current at 01 February 2011
This was presented at International Tax Masterclass .
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