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Doing something overseas – Have you understood the practical Australian taxation consequences correctly? paper
Published on 14 Mar 18 by NATIONAL DIVISION, THE TAX INSTITUTE
This paper covers:
- summary of key tax considerations
- investment vehicle
- foreign subsidiary
- branches.
Author profiles
Briar Evans
Paul Skellett
Paul is a Senior Manager with EY.Current at 14 March 2018
Mathew Chamberlain CTA
Mathew Chamberlain, CTA, is a partner at EY and leads the Perth International Tax Services team. A legal practitioner admitted in WA and NSW, he has more than 32 years’ experience in international tax, focusing on the large multinational and corporate environments across Australia, the US, Europe, Asia-Pacific and Africa. Mathew specialises in international tax reform, foreign investment into Australia and outbound investment from Australia. A long-time member of The Tax Institute, Mathew has presented at numerous national and state conventions on international tax issues and has also lectured on tax law at UWA and Curtin. Mathew has also led and participated in a number of government and ATO initiatives, working groups etc. on international tax law and policy issues affecting Australian inbound and outbound investment, including most recently submissions to and liaisons with government on corporate tax residency, the new thin capitalisation and debt deduction creation rules and the treatment of taxpayers in the oil and gas services and shipping industries. - Current at 01 November 2024
This was presented at 33rd National Convention .
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