Published on 09 Sep 21
by NATIONAL DIVISION, THE TAX INSTITUTE
This session will compare and contrast worked examples of small (less than $10m) and large (greater than $1b) related party loans (including derivatives and outbound interest-free loans) in the current Australian transfer pricing environment.
Frank is a Director in KPMG's Global Transfer Pricing Services practice in Melbourne and has over 23 years of transfer pricing and international tax experience across both industry and professional service firms.
As the former in-house Global Transfer Pricing Director & Counsel for a Fortune 100 MNC for 9.5 years, Frank was responsible for the design, development and implementation of transfer pricing strategy, policy, processes and documentation and controversy across the Americas, Europe and Asia Pacific regions. Prior to that, Frank was a Principal in a Professional Services Transfer Pricing team for 12.5 years.
Frank has assisted a number of Australian and overseas based clients with their transfer pricing and global supply chain planning, compliance and controversy needs by bringing a wealth of operational and tax experience applied across diverse industries and jurisdictions. His experiences balance and recognize the synergies required among the business and tax teams, resulting in practical, commercial strategies that provide viable transfer pricing solutions to complex business challenges.
- Current at
14 August 2013