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Australian Companies with Offshore Businesses - The New Order

Published on 01 Oct 04 by "TAXATION IN AUSTRALIA" JOURNAL ARTICLE

As a result of recent changes made to Australia's CGT, foreign non-portfolio dividend and branch profit rules the tax implications for an Australian multinational company of repatriating foreign business profits have changed signifcantly.

Author profile

Michael Taylor-Sands
Michael advises on property development transactions and joint ventures, structuring of acquisitions, divestments and commercial transactions. He has experience advising residential and commercial property developers in connection with income tax, stamp duty, GST, land tax and GAIC, as they impact land procurement and delivery structures. He is a current committee member of UDIA, PCA and the SRO State Taxes Consultative Committee. He represented the UDIA in consultations with Government on both GAIC (2005) and WGT (2021) and has unique insight into the formulation and implementation of both regimes as a result. - Current at 15 August 2022
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