Published on 09 Sep 21
by NATIONAL DIVISION, THE TAX INSTITUTE
This presentation covers:
- Recent trends in Europe leading towards mandatory public disclosure of tax information
- Using some example case studies, how Australian outbound MNCs can be impacted by these rules even though the same rules don’t (yet) apply in Australia
- Whether publishing more information solves (or exacerbates) the issue of trust; and
- Where will it end?
Tony is a Partner in KPMG’s Transfer Pricing practice with over 15 years of
experience advising multinational groups on complex transfer pricing issues.
With prior commercial experience negotiating arm’s length pricing
arrangements, Tony provides a practical interpretation of the complex
technical rule book. Tony’s abilities to influence and negotiate on behalf of
clients are the cornerstone of his reputation.
Tony advises a number of the world’s leading enterprises on transfer pricing
within Australia and across the ASPAC region. He is KPMG’s leader for a
number of clients in the technology and media space.
Tony has extensive contacts within the Australian Taxation Office (ATO) and
has strong working relationships with the ATO’s Competent Authority.
Tony has successfully concluded APAs (Advance Pricing Arrangements)
involving a wide variety of transactions including large business
Tony successfully concluded APAs with key jurisdictions including the US,
UK, Japan and Korea, and he has valuable experience in the resolution of
Mutual Agreement Proceedings between Competent Authorities.
- Current at
19 July 2013