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08 March 2019

New tax legislation will deny a tax deduction to a business which fails in its obligations with respect to Pay-As-You-Go Withholding. 

15 February 2019

The Australian Government has released draft law that will introduce a new corporate structure called Corporate Collective Investment Vehicles (CCIV). It will also provide for tax treatment of CCIVs that broadly aligns with the existing treatment of attribution managed investment trusts (AMIT...

29 November 2018

The ATO has issued final guidance to assist taxpayers to manage their compliance risk by outlining straightforward low risk restructuring to which they won't seek to apply tax avoidance provisions. Taxpayers have a short window of opportunity to review their existing hybrid arrangements and to...

08 November 2018

The Board of Taxation has proposed new residency rules aimed at improving certainty, reducing compliance costs and removing a potential barrier to Australia's attractiveness as an investment location. There has been no fundamental change to the policy intent of the residency rules for individuals...

01 October 2018

The origins of IFRS 9 Financial Instruments stem from the global financial crisis and is a very significant standard for the banking sector. Whilst the impact on IFRS 9 is not as great on nonfinancial entities, those in the natural resources sector should not ignore its impacts.

28 August 2018

On 17 July 2018, Treasury released exposure draft regulations proposing to change the way rollovers to and from self-managed superannuation funds (SMSFs) are handled. It is proposed that from 30 November 2019, all rollovers that are requested on or after that day must be transferred...

02 August 2018

BDO’s submission in response to the Government’s consultation on the R&D tax incentive amendments highlights its key concerns with the proposed ‘Research & Development Tax Incentive Amendments’.

25 July 2018

Legislation was introduced into the Australian Senate on 27 June 2018 to implement the OCED’s BEPS Action 2 - Neutralising the Effect of Hybrid Mismatch Arrangements. The ATO also released guidance on anti-avoidance provisions and restructures of hybrid mismatch arrangements on 25 June 2018.

11 July 2018

The Federal Treasurer has released a proposals paper on 28 June 2018 outlining the conditions stapled entities must comply with to access the infrastructure concession and/or transitional arrangements in the draft law released earlier this year. The draft law seeks to address integrity risks...

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