International Tax February 2015
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Running Time: 11:54 Date: 01/02/2015
- Residency: Re The Engineering Manager v FCT [2014] AATA 969
- Companies found to be Australian residents: Hua Wang Bank Berhad & Ors v FCT [2014] FCA 1392
- No FITO for Irish employment contributions: Re Confidential v FCT [2014] AATA 961
- Transfer pricing documentation requirements: TR 2014/8
- Simplifying transfer pricing record keeping: PS LA 2014/3
- Administration of transfer pricing penalties: PS LA 2014/2
- IOC broadcasting right payments not royalties: Seven Network Limited v FCT [2014] FCA 1411
Topics: Accounting & Tax
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Peter McGinty, Chartered Accountants Australia and New Zealand |