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Transfer Pricing
Duff and Phelps
The PCG will have effect from July 1, 2019.
Duff and Phelps
The Federal Court of Australia ("The Court") released its decision in the case of Glencore Investment Pty Ltd v. the Commissioner of Taxation on September 3, 2019.
Duff and Phelps
Recently, there have been a number of changes to Australia's financial reporting landscape that have received a large amount of publicity from advisory firms.
TMF Group
Australian entities that meet certain requirements can shortcut the usual lengthy and expensive transfer pricing record keeping process.
DLA Piper
In a major victory for the mining giant, the Federal Court has found in favour of Glencore, and held that the terms operating between the Glencore Australian subsidiary ...
Duff and Phelps
This will include a schedule outlining risk indicators for the application of the ALDT.
Shelston IP
Advice on the significant changes and developments in transfer pricing over the past 12 months.
Colin Biggers & Paisley
Australian exporters and importers should review their outward and inward supply chains and transfer pricing arrangements.
Colin Biggers & Paisley
How tax legislation aims to prevent erosion of domestic taxable profit through multinational supply chains - draft TD 2018/D1. .
TMF Group
New regulations for Transfer Pricing (TP), Country-by-Country (CbC) reporting and General Purpose Financial Statement (GPFS) reporting regimes impose a heavy compliance burden on multinational enterprises doing business in Australia.
Colin Biggers & Paisley
Treasury has released the Treasury Laws Amendment (OECD Multilateral Instrument) Bill 2018 to implement the convention.
Jones Day
As part of a wide-ranging crackdown on multinational tax avoidance, the Australian Federal Government and the Australian Tax Office have introduced significant reforms to the country's transfer pricing regulations.
Corrs Chambers Westgarth
The transfer pricing dispute between Chevron Australia and the CoT reached an abrupt end - by a confidential settlement.
Kemp Strang Lawyers
This Federal Court case is the first to provide any real guidance on the intra-group pricing of debt by multinationals.
Clayton Utz
The first set of mega transfer pricing disputes in Australia underscores some important practical considerations.
Clayton Utz
The ATO is doing a good job in trying to revisit how it delivers guidance to ensure it is provided on a timely basis.
Clayton Utz
Changes to the foreign investment review system aim to ensure that foreign investors comply with Australian tax laws.
Withers LLP
The Australian Taxation Office (ATO) has recently won a major transfer pricing victory in the decision of Chevron Australia Holdings Pty Ltd v Commissioner of Taxation (No 4) [2015] FCA 1092.
Clayton Utz
The decision highlights the importance of having relevant and high-quality expert evidence in transfer pricing disputes.
Norton Rose Fulbright Australia
While each tax controversy has unique circumstances, this survey is a reference tool for multinational tax executives.
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