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The future of hybrid financing in Australia presentation
Published on 09 Oct 14 by NEW SOUTH WALES DIVISION, THE TAX INSTITUTE
This presentation covers:
- Australia’s tax hybrid financing history
- 23AJ evolution
- debt equity rules and thin capitalisation
- Division 768-A
- overview of key changes
- the “targeted scenario”
- BEPS action 2: hybrid mismatch arrangements
- BEPS impact on current hybrid financing approaches
- observations on future of hybrid financing.
Author profiles
Craig Church
Craig is a Principal in the Tax Insights & Policy area at Deloitte in Sydney. Craig has almost 20 years experience advising clients on corporate and international tax matters including cross-border financing and acquisitions, tax consolidation and thin capitalisation matters. In his previous role at EY, Craig also spent 9 months working on the Australian Tax Desk in New York. - Current at 02 June 2015Mark Hadassin CTA
Mark Hadassin, CTA, is a partner in the Deloitte International Tax Group in Australia specialising in international tax and infrastructure investment. Mark has over 20 years' experience providing advice to major Australian and foreign corporates on domestic and international tax issues. Prior to joining Deloitte in January 2010, Mark spent 2 ½ years as Global Head of Tax at the Babcock & Brown group where he had responsibility for all the group's tax matters. - Current at 03 February 2023David Watkins CTA
David Watkins, CTA, is the partner-incharge of the Deloitte Australia Tax Insights & Policy group. David has over 30 years experience in corporate income tax and international tax covering a wide range of tax issues across various industry sectors. David has worked in Malaysia, Singapore and New York. - Current at 31 October 2019
This was presented at International Masterclass .
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