Australia introduced multinational anti-avoidance law, CbC reporting and increased penalties

01 October, 2015

The Treasurer of Australia introduced a Bill to implement the announced multinational anti-avoidance law to apply to foreign multinationals generating certain profits earned from Australia without an Australian permanent establishment;

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Australian Taxation Office releases GAAR guidelines

20 August, 2015

The Australian Taxation Office released for comment a draft practice statement PS LA 2005/24 which deals with the application of the general anti-avoidance rules (GAAR) in Part-IVA of the Income Tax Assessment Act 1936 on 13 August 2015. This Draft

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Australia: Stronger penalties to fight against multinational tax avoidance

10 August, 2015

The Government of Australia announced double the maximum administrative penalties that can be applied by the Commissioner of Taxation to large companies that enter into tax avoidance and profit shifting schemes. The increased penalties, under

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Australia: New transfer pricing documentation standards

10 August, 2015

On 6 August 2015, the Australian Treasury released exposure draft law to implement reporting requirements for large multinational businesses in line with recommendations by the OECD and G20. In the 2015-16 Budget, the Australian government announced

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New guidance on Advance Pricing Agreements issued by Australian Taxation Office

26 July, 2015

The Australian Taxation Office released its revised policies and procedures for the Advance Pricing Agreements program on 23 July 2015. The updated guidance has been provided in the form of Practice Statement Law Administration PSLA 2015/4, which

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Negotiations for DTA between Australia and UAE

10 July, 2015

Following a recent meeting, negotiations for a double tax agreement (DTA) between Australia and the United Arab Emirates are

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Australia: tax cuts for small business

01 July, 2015

According to the Budget the government of Australia is to decrease the income tax rate for small companies to 28.5 per cent with an aggregated annual turnover of less than AUD 2 million. Companies with an aggregated annual turnover of AUD 2 million

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IMF comments on Australian fiscal policy

24 June, 2015

On 24 June 2015 the International Monetary Fund (IMF) issued a concluding statement at the end of discussions with Australia under Article IV of the IMF’s articles of agreement. The strong income growth of the past two decades has slackened off

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Australia publishes reports on international tax issues

24 June, 2015

On 4 June 2015 the Australian Treasurer published certain reports on international tax issues for comment. These cover potential areas of tax reform including the following: The advantages of adopting the authorized OECD approach (AOA) in relation

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Australia: Budget for 2015-2016 Includes BEPS Measures and Exposure Drafts for a New Targeted Anti-Avoidance Rule

13 May, 2015

The Government of Australia announced the 2015-2016 fiscal budget on May 12, 2015. Australia has included in the budget a country-by-country reporting requirement following the recommendation in the OECD/G20 action plan on base erosion and profit

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UK: Joint initiative with Australia to combat profit shifting

23 April, 2015

The Australian Treasurer issued a press release following the G20 meeting on 16 and 17 April indicating potential collaboration with the UK to combat profit shifting. The UK government introduced a Diverted Profits Tax with effect from 1 April

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WTO: Trade Policy Review of Australia

22 April, 2015

The World Trade Organization (WTO) is conducting a Trade Policy Review of Australia on 21 and 23 April 2015 and has published the report prepared by its Secretariat. Since the previous Trade Policy Review in 2011 the Australian economy has

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Revision to DTA between New Zealand and Australia

10 April, 2015

The government of New Zealand announced its plans to update the income tax treaty with Australia of 2009 for the avoidance of double taxation and the prevention of fiscal evasion with respect to taxes on

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Australia: Approval process for application of the reconstruction provisions

10 March, 2015

The practice statement (PS LA 2015/3) issued on 26 February 2015 sets out a new internal approval process for application of the reconstruction provisions. This law administration practice statement is issued under the authority of the Commissioner

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Australia and India accelerate trade agreement negotiations

08 February, 2015

Negotiations to conclude the Australia-India Comprehensive Economic Cooperation Agreement (CECA) are progressing, with the aim to reach an early conclusion this year. The sixth round of the CECA negotiations was held in New Delhi from 18-19 December

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Economic Partnership Agreement between Japan and Australia enters into force

18 January, 2015

On January 15, 2015, the Japan-Australia Economic Partnership Agreement entered into force, opening up opportunities for increased trade and investment by Australia with Japan which is the third largest economy in the world and Australia’s second

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Australia: Practice Statement PS LA 2014/2 released by the Australian Taxation Office

31 December, 2014

The Australian Taxation Office (ATO) released guidance on what the ATO expects taxpayers to prepare in order to comply with the transfer pricing laws and manage related risks on 17 December 2014. According to guidance 25% penalty applies and

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Australia: Taxation Ruling 2014/8 introduces by the Australian Taxation Office (ATO)

23 December, 2014

Taxation Ruling 2014/8 gives outlines on what needs to be included in the documentation if the taxpayer is to meet the standard of a "reasonably arguable position" and avoid penalties, and sets out five key questions for preparation of

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