Transfer pricing 2013

Transfer pricing

Source: New South Wales

Published Date: 23 Oct 2013

 

The recently enacted Cross Border Transfer Pricing legislation imposes a higher obligation on Public Officers of companies to maintain appropriate TP documentation on a contemporaneous basis to defer and defend ATO investigation. Cross border financing, business restructures and profit based assessments where a business has consistently low profits or losses are likely ATO targets.

This practical presentation provides guidance on how to develop a framework to adapt to this new TP environment including:

  • ensuring your company’s TP documentation meets the ATO requirements of a reasonably arguable position to avoid automatic penalties should an audit adjustment arise
  • impact on IDS disclosure and your company’s risk profile
  • limitation on period for ATO to amend
  • personal liability of public officers for penalties arising from a false or misleading statements related to TP.

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Individual Session

Transfer pricing

Author(s): John Ross
Materials from this session:

Details

  • Published By: John Ross
  • Published On:23 Oct 2013
  • Took place at:Doltone House, Sydney

The material is copyright. Apart any fair dealing for the purpose of private study,

research critisism or review, as permitted under the copyright Act, no part may be rerpoduced by any process without written permission from The Tax Institute.

Unless expressly stated, opinions are not that of The Tax Institute, which accepts no responsibility for the accuracy of any of the information contained within it.

This material is copyright. Apart from any fair dealing for the purpose of private study., research, critisism or review, as permitted under teh copyright Act, no part may be reproduced by any process without written permission from The Tax Institute.

Unless expressly stated, opininons are not that of The Tax Institute, which accepts no responsibility for the accuracy of any of the information contained within it.

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