Publication
Regulation Around the World: Open Finance
In this issue of Regulation Around the World we look at how regulators are developing their proposals for Open Finance.
Global | Publication | February 2017
The Australian Taxation Office (ATO) released a controversial Taxpayer Alert, TA 2017/1 on 31 January 2017. The Taxpayer Alert relates to structures involving both a company (taxed at the corporate rate) and a trust (taxed as a flow through vehicle). The ATO has particularly highlighted structures involving a managed investment trust (MIT) with overseas investors.
The Taxpayer Alert is likely to affect investors in numerous asset classes, including infrastructure and renewables.
Investors need to carefully consider whether their investments are likely to fall within the (very broad) parameters identified by the ATO and should develop a strategy for engaging with the ATO.
Which structures are the ATO concerned about?
The ATO is concerned about “rental staples” (and similar structures where the entities are not stapled). This structure involves the following:
Further, the ATO has also identified these structures as being of concern:
How will the ATO challenge them?
The ATO may challenge the structures under one or more of the following methods:
Which structures should still be OK?
Further information
For information about the implications of this development for your business, please contact one of our Australian Tax partners (see below).
Publication
In this issue of Regulation Around the World we look at how regulators are developing their proposals for Open Finance.
Publication
Canada and the European Union signed a Security and Defence Partnership (SDP), which formalizes a mutual intent to foster closer ties by establishing a framework for dialogue and cooperation across the full security and defence spectrum.
Publication
The Carbon Offsetting and Reduction Scheme for International Aviation (CORSIA) is now half way through its first phase of compliance, while the supporting regulatory frameworks constituting the building blocks for the CORSIA and Article 6 markets are incrementally being cemented in place and the market is developing fair mechanisms for managing key gap risks.
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