Australia: Guidance on international transactions that attract scrutiny

Focus on related-party financing, transfer pricing, and thin capitalization rules

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December 2, 2024

The Australian Taxation Office (ATO) released guidance on its website regarding international transactions that may attract ATO scrutiny, particularly focusing on issues such as related-party financing, transfer pricing, and thin capitalization rules.

The ATO emphasizes the importance of accurate reporting and adherence to tax regulations to mitigate risks associated with these transactions.
 

For further information, contact a KPMG tax professional:

Peter Oliver | peteroliver@kpmg.com.au 

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