Multinational Anti-Avoidance Law
Learning Centre • Videos & Webinars • Multinational Anti-Avoidance Law
Learning Centre • Videos & Webinars • Multinational Anti-Avoidance Law
You have a non-Australian company selling products and/or services directly to the Australian market. To facilitate the sales, you have set
up a subsidiary in Australia to provide various auxiliary services to your company.
The proceeds from the sales are retained by the non-Australian company which in turn pays the Australian subsidiary on a cost plus basis for
the auxiliary services.
Sounds like you?
Lets talk TP and MAAL for Australia.
Over the past months, the Global Minimum Tax (GMT) under the Organisation for Economic Co-operation and Development (OECD)’s Pillar Two tax framework has garnered substantial traction in the world of international taxation. With the substantial developments around the GMT, it remains important for multinational companies to be well aware and prepared for the implementation of GMT rules.
In this webinar we will discuss recent developments in international tax policy, and consider the impact for multinational companies to effectively manage their transfer pricing obligations. Get exclusive Q&A with our transfer pricing experts.
Country By Country (CbC) Reporting incorporates revised standards for transfer pricing documentation and a common template for SGEs to report income.
If your business is engaged in international dealings with related parties, and has more than $2 million of related-party dealings, you are required to complete an international dealings schedule (IDS).
Transfer Pricing is a complex tax area. With June 30 approaching we've put together a series of 3 webinars, including 2.75 CPD hours, to support tax agents and their clients with transfer pricing essential compliance,
Is your business facing transfer pricing challenges due to inflation? Join us for this webinar to get inside on transfer pricing strategies and how to use them to keep your business ahead.
What does the Federal Budget mean for transfer pricing in Australia? Join us to hear from a panel of Australian and global transfer pricing experts where we will discuss in detail the important transfer pricing impacts in Australia following the Budget.
Learn about the latest trends and transfer pricing developments in HK, China and Asia. Be aware of common areas of transfer disputes in both regions and tips to resolve them.
Australia has stepped up on the reviewing of TP methods and documentation. As such, careful deliberation must be exercised when selecting the most suitable TP method..
If you're an Australian company currently claiming tax deductions for cross-border payments then you MUST consider the imported mismatch
rule.
If your business is engaged in international dealings with related parties, and has more than $2 million of related-party dealings, you are required to complete an international dealings schedule (IDS) and lodge it with your income tax return for that year.
Multinational Anti-Avoidance Law (MAAL) is an anti-avoidance measure created to combat tax avoidance by multinationals using certain
transfer pricing arrangements or structures to avoid the attribution of profit to a permanent establishment in Australia.