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The new international tax regime presentation
Published on 03 Mar 05 by NATIONAL EVENTS, TAXATION INSTITUTE OF AUSTRALIA
This presentation covers:
- outward bound investment into listed countries and the CFC rules - focusing on UK, US, NZ
- foreign subsidiary vs foreign branch structures under NITA
- special rules for banks, life companies and other Australian financial institutions
- what is yet to come? Foreign income accounts, new listed countries and other measures
- central management and control ruling and the financial services industry.
Author profile
Jason Chang CTA
Jason is the Partner in Charge of Asia Markets at KPMG in Australia which focuses on Asia-Australian inbound and outbound transactions across all practices in KPMG. He has significant experience in advising Australian companies entering the China market in various different sectors and the establishment of joint ventures in China. Jason is the Lead Partner on a variety of Australia-China projects; coordinating advice, with partners from KPMG, in taxation, transaction support, due diligence, accounting, strategic and commercial intelligence. Jason speaks regularly at China forums and has often been quoted in the press on China matters. He is a Barrister and Solicitor of the Supreme Court of Victoria and a member of the Australian government’s Reform of International Tax Arrangement consultative committee and Tax Treaties Advisory Panel. Jason also consults to the Chinese government on international tax matters. - Current at 23 July 2007
This was presented at 2005 Financial Services Taxation Conference: Risky Business .
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Stamp duty
Author(s): Peter GREENMaterials from this session:
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Managing tax risk in an international tax group
Author(s): Stephen GREENMaterials from this session:
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The new international tax regime
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Retail banking update
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