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Developments in inbound investment structuring presentation
Published on 17 Sep 09 by NEW SOUTH WALES DIVISION, THE TAX INSTITUTE
This presentation considers income tax developments in respect of inbound property investment structuring, including:
- the use of managed investment trusts (‘MITs')
- the interaction of Division 855 and the MIT withholding tax regime
- the particular issues for sovereign wealth funds and foreign pension funds
- withholding taxes, particularly interest withholding tax issues for leveraged structures
- the interaction of the Australian tax regime with investor home tax rules.
Author profile
Joe Galea
Joe is a Corporate Tax Partner with the Deloitte Real Estate Group. He has over 15 years of corporate tax experience with a particular emphasis on advising property groups, including listed and unlisted funds, large multinational property groups and offshore investors. He has advised in respect of a number of significant tax consolidation projects for property groups, including considering the impact of the recent amendments to the tax cost setting rules. Joe is also an active member of the Property Council of Australia’s Income and International Tax Working Group. - Current at 17 February 2011
This was presented at 7th Annual Property Intensive .
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Individual sessions
Developments in inbound investment structuring
Author(s): Joe GALEAMaterials from this session:
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Managed investment trust regime
Author(s): Manuel MAKAS, Michael COXMaterials from this session:
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Developments in outbound investment structuring
Author(s): Peter B STINSONMaterials from this session:
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Property market update
Author(s): Tom HARDWICKMaterials from this session:
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GST and property development
Author(s): Andrew HOWEMaterials from this session:
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Property in a distressed environment - What are the issues?
Author(s): Anthony ELKERTONMaterials from this session:
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The income tax fundamentals of property revisited
Author(s): Scott McGillMaterials from this session:
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Practical issues arising from Bamford
Author(s): Richard J VANN, Andrew DE WIJNMaterials from this session:
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