Australia’s response to Glencore, legal professional privilege and the CCIV regime Jun Au of DLA Piper Australia provides an overview of tax developments in Australia including the ATO’s response to the Glencore decision, improvements to the corporate collective investment vehicle regime... By Jun Au October 26 2021
Australia announces tax measures to tackle COVID-19 business disruption Jun Au of DLA Piper discusses how the Australian government and the Australian Tax Office have moved to assist businesses affected by the ongoing COVID-19 outbreak. By Jun Au April 27 2020
Australia: The Australian Taxation Office makes a proactive start to 2020 Jun Au of DLA Piper Australia provides a round-up of the most prominent tax-related developments from the beginning of the new decade. By Jun Au February 26 2020
Australia: Glencore triumphs over ATO in landmark Australian transfer pricing case In Glencore Investment Pty Ltd v Commissioner of Taxation of the Commonwealth of Australia [2019] FCA 1432, in a major victory for the mining giant, the Federal Court found in... By Jun Au & Jock McCormack October 15 2019
Australia updates corporate collective investment vehicle legislation The Australian government released draft legislation on January 17 2019, outlining the tax and regulatory components of the corporate collective investment vehicle (CCIV) regime, which is intended to make Australia... By Jun Au March 21 2019
ATO releases guidelines for inbound distributors, hybrid mismatch rules In recent months, there have been several important tax developments driven by the Australian Taxation Office (ATO) that are relevant to inbound distributors, multinationals and foreign-incorporated companies. By Jun Au January 28 2019