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Published byAugusta Quinn Modified over 9 years ago
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ATO perspective on international tax administration issues Jim Killaly Deputy Commissioner of Taxation Large Business and International
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Administration issues - design issues Design principles to help administrability –Alignment with underlying business, market and economic realities Rules do not get in the way of the market Ensuring integrity of the policy - delivery of benefits and guarding against unintended advantages Facilitating streamlining and efficiency for all parties
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Administration issues Design principles –Ability of the system to operate in real time for taxpayers and the ATO, especially in the context of self assessment
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Administration issues - difficulties for taxpayer and ATO Definitional issues – Tainted sales – Tainted services – Residency issues for companies and expats
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Administration issues - difficulties for taxpayer and ATO Record keeping concern – Substantiation in relation to active income test – Investments realised to avoid complexities of FIF attribution accounting
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Administration issues - difficulties for taxpayer and ATO Design issues driving compliance costs – Interface between CFT and FIF measures – Interface between the CFC and FIF measures
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Administration difficulties - Integrity issues Preserving the integrity of the listed/unlisted country distinction and listing approach –Section 47A Criteria for listing jurisdictions as comparably taxing
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Administration difficulties - Integrity issues Criteria to quarantine measures to their intended scope Capital adequacy and appropriate accounting for branch structures
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Administration issues Integrity issues Other administration issues –Skilling - both within and outside the ATO –Systems IT Returns
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