BEPS and the Diverted Profits Tax
Journal
Country
Australia
Published Date
Issue
International Transfer Pricing Journal 2017 (Volume 24), No. 1
Document
The author examines the Australian position towards multinational enterprises which assert that they do not have a permanent establishment in Australia and therefore are not subject to tax in Australia on their income derived by supplying goods and services to customers in Australia. The newly proposed diverted profits tax and its potential application are also considered.