Published on 11 Mar 20
by NATIONAL DIVISION, THE TAX INSTITUTE
This presentation covers:
- an overview of the facts and judgments in the Burton Case
- a brief overview of the relevant provisions within the FITO regime;
- the key principles of Australia’s Double Taxation Agreement (“DTAs”)
- a brief analysis of the decision in the Burton Case
- a potential structuring solution for taxpayers looking to invest in foreign real property.