This presentation covers:
- the taxpayer alert program
- TA 2020/2: Mischaracterised arrangements and schemes connected with foreign investment into Australian entities
- TA 2020/3: Arrangements involving interposed offshore entities to avoid interest withholding tax
- TA 2020/4: Multiple entry consolidated groups avoiding capital gains tax through the transfer of assets to an eligible tier-1
- company prior to divestment
- other considerations.