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BEPS multilateral instrument – Now a reality paper
Published on 19 Sep 18 by NEW SOUTH WALES DIVISION, THE TAX INSTITUTE
This paper covers:
- introducing the MLI
- applying the MLI to a particular double tax treaty
- post ratification events
- post-MLI treaty interpretation and application
- MLI key measures overview
- adoption of the MLI by Australia
- Australia's double tax treaties impacted by the MLI
- MLI status around the world
- some looming MLI issues.
Author profiles
David 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 2019Isabelle Mac Innes
Isabelle MacInnes is a Director at Deloitte Sydney specialising in inbound and outbound international tax issues, especially in relation to double tax treaties. Isabelle has been a long-standing member of the Tax Treaties Advisory Panel, and has been involved in various consultation groups working with Treasury and the ATO. Isabelle has worked in Paris, London and Australia, and is a qualified barrister in France. - Current at 09 July 2018
This was presented at International Masterclass 2018 .
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BEPS multilateral instrument – Now a reality
Author(s): David WATKINS, Isabelle Mac InnesMaterials from this session:
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