ATO Warns Multinationals Over Two Avoidance Schemes

ATO Warns Multinationals Over Two Avoidance Schemes
Specialties
Country expertise
Industries
ATO Warns Multinationals Over Two Avoidance Schemes
September 22nd, 2016
On September 20, the Australian Taxation Office (ATO) has cautioned multinationals against international profit shifting by multinational companies. In two alerts, ATO addressed 'Cross-Border Round Robin Financing Arrangements' and 'Restructures in response to the Multinational Anti Avoidance Law (MAAL) involving foreign partnerships'.

On September 20, the Australian Taxation Office (ATO) has cautioned multinationals against international profit shifting by multinational companies. In two alerts, ATO addressed 'Cross-Border Round Robin Financing Arrangements' and 'Restructures in response to the Multinational Anti Avoidance Law (MAAL) involving foreign partnerships'.

Prevention Before Correction

In a statement, Deputy Commissioner Jeremy Hirschhorn said that ATO is being clear about the ways  taxpayers may be tempted to use to avoid tax, as ATO prefers a ‘prevention before correction’ approach.

 “Where we identify a scheme, our first priority is to stop the scheme spreading. We then seek to identify the creators and promoters of the scheme, and any taxpayers that they have advised to adopt the scheme,” Hirschhorn said.

Multinational Anti-Avoidance Law (MAAL)

Taxpayer Alert 2016/11, warns against a new scheme that attempts to avoid the Multinational Anti-Avoidance Law (MAAL). The scheme involves interposing an entity described as a partnership between the foreign entity originally making supplies to Australian customers and the Australian customers.

"The partnership has one resident corporate partner with a minority interest in the partnership, therefore purporting to characterize the partnership as an 'Australian entity' for the purposes of the MAAL. Agreements entered into purport to make the partnership the distributor of the products or services and the foreign entity its agent. The arrangements have little, if any, commercial basis and no changes are made to the underlying functions," ATO explained.

Round-Robin Financing Arrangements

Taxpayer alert, TA 2016/10, cautions multinational companies who engage in cross-border round-robin financing arrangements, in which an Australian entity funds an overseas related entity, but subsequently receives the funds back in a manner which purportedly generates Australian tax deductions without corresponding Australian assessable income.

Sources: ATO, TA 2016/10, TA 2016/11

ATO Warns Multinationals Over Two Avoidance Schemes
; posted on
September 22nd, 2016
On September 20, the Australian Taxation Office (ATO) has cautioned multinationals against international profit shifting by multinational companies. In two alerts, ATO addressed 'Cross-Border Round Robin Financing Arrangements' and 'Restructures in response to the Multinational Anti Avoidance Law (MAAL) involving foreign partnerships'.
Follow us by Newsletter and Social Media

Our digital platform enhances your tp experience and is ready to let you discover new and related content.
It provides a range of social features:

- Links to Social media (LinkedIn, Twitter, Facebook, YouTube and Xing)
- Sharing our news by monthly Newsletter(s)
- Discuss key issues with our TPA Global team members via blogs and social media

Copyright © 2016
Transfer Pricing Associates BV.
All rights reserved.

Disclaimer | Privacy

H.J.E. Wenckebachweg 210
1096 AS Amsterdam
T: +31 20 462 3530
E: info@tpa-global.com
I: www.tpa-global.com