Joseph, A
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The person Joseph, A represents an individual (alive, dead, undead, or fictional) associated with resources found in International Bureau of Fiscal Documentation.
The Resource
Joseph, A
Resource Information
The person Joseph, A represents an individual (alive, dead, undead, or fictional) associated with resources found in International Bureau of Fiscal Documentation.
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- Joseph, A
161 Items by the Person Joseph, A
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- Advance pricing agreements
- Aggressive tax planning and tax risk management
- Arm's length conditions override actual conditions - transfer pricing and debt equity rules
- Arm's length debt test : Australian Tax Office issues guidance
- Arm's length pricing : Canadian and Australian perspectives
- Asia region funds passport and proposed corporate collective investment vehicles
- Australia : employee share schemes : benefiting the start-ups
- Australia : recent developments
- Australia : tax treatment of derivatives
- Australia's commitments to the OECD BEPS programme
- Australian Taxation Office clarifies GST treatment of securitization transactions
- Australian residence : time to change the rules?
- Australian update on banks and internal derivatives
- BEPS and the diverted profits tax
- BEPS, hybrid entities and financing
- Bank-originated securitizations : Australian Taxation Office publishes technical discussion paper
- Battle of the offshore giants - Jersey makes its move
- Capital gains tax and tax avoidance : recent developments
- Capital gains tax for non-residents comes under significant review
- Casenote : information-gathering powers of the Commissioner
- Casenote from Australia : anti-avoidance provisions
- Changes affecting financial institutions and managed investment trusts under the new Australia-New Zealand tax treaty
- Changes in international taxation
- Changes to controlled foreign company rules
- Changes to hybrid mismatch rules
- Clash of rules : thin capitalization and transfer pricing
- Co-ownership of property in Australia and goods and services tax
- Collective investment trusts in Australia
- Commitment fee not treated as interest
- Consolidation and group taxation
- Controlled foreign companies and the EU Parent-Subsidiary Directive
- Controlled foreign corporations : tax treatment of contract manufacturing and emissions allowances
- Corporate collective investment made easy
- Corporate inversions and earnings stripping
- Corporate migration and transfer pricing
- Corporate residency : central v. effective management
- Country-by-country reporting : law in the making
- Cross-border royalties in tax avoidance
- Crowdfunding : a tangled web
- Customs duty valuation and transfer pricing
- Debt-equity characterization and cross-border investment : Australia and the United States
- Derivatives : international financial reporting standards and taxation
- Developments in Australian anti-hybrid legislation
- Disclosure, secrecy and the Panama Papers
- Discretionary trusts and franking credits : the case of Thomas
- Discussion paper on arm's length debt test
- Diverted profits tax : a multinational nightmare
- Diverted profits tax : growing pains
- Dividend received deduction and jobs creation : labour market reform or disguised corporate tax break?
- Domestic reverse hybrids : recharacterization of deemed interest payments as dividends
- Double tax agreements - more sword than shield
- Exempting foreign branch income and the active income requirement
- Exposure draft on investment manager regime
- FATCA-exempting deemed-compliant foreign financial institutions and intergovernmental agreements
- FIN 46 in the United States : the tangled web of consolidation at home and away ..
- Federal Court decision on imposition of penalties on promotors of tax schemes
- Financial arrangements and consolidation
- Financial arrangements, fair valuation and taxation
- Financial services reform
- Foreign insurers and captives : licensing and prudential supervision
- Foreign insurers and captives : licensing and prudential supervision
- Foreign personal holding companies and the American Jobs Creation Act 2004
- Further changes to investment manager regime
- GST and phoenixing of companies
- GST in Jersey
- GST on offshore tour operators
- GST treatment of deposits
- General insurers : prudential supervision and international accounting standards
- Goods and services tax : incentives for investment funds
- Guidance regarding reconstruction of cross-border transactions by the Commissioner
- Hedge effectiveness test to undergo changes
- Hedging transactions and the foreign tax offset regime
- Hybrid instruments and interest deductibility
- Hybrid mismatch and targeted integrity rules
- IFRS and Derivatives Taxation
- Identification of hedging transactions - US Technical Advice Memorandum of 11 March 2005 and more
- Impact of investment manager regime on foreign funds
- Increasing role of advance pricing agreements
- Infrastructure projects, public project partnerships and taxation of tax-preferred entities
- Innovation, start-ups and crowdfunding in Australia
- Insolvency, payment systems, netting and other related developments
- Insurance transactions under Australian GST
- Intellectual property originators and spin-off companies - issues for consideration
- Interest deductibility and BEPS Action 4
- International financial centre unveiled
- International financial reporting standards and thin capitalization
- International tax reform : changes affecting the taxation of CFCs and dividends
- Islamic finance
- Islamic finance : need for uniformity
- Legal professional privilege and third party documents
- Look-through relief for private equity
- Managed investments in real property : tax rules undergo changes
- Mark-to-market swap valuation : the Bank One case
- Mercedes Benz case : sale of goods or services?
- NatWest decision and transfer pricing : global implications for banks
- Negative gearing : retain or reform?
- New Zealand anti-hybrid rules
- New regime for management investment trusts
- Offshore banking units : welcome changes to applicable rules
- Overview of GST
- Pension funds as cross-border investors : country survey on tax and regulatory developments : Australia
- Permanent establishment moves to centre stage : OECD and other developments
- Permanent establishments and Australian domestic laws
- Perpetual cumulative subordinated debt : deferred interest payment and deductibility
- Phoenixing : long road to reform
- Private equity comes under tax scrutiny
- Proposed statutory recognition of OECD Guidelines
- Recent Australian tax developments
- Recent developments affecting foreign investors
- Recent tax reform measures
- Regulating hedge funds : increasing role of SEC and FASB
- Regulators to the rescue : on-sale of securities and the obligation to disclose
- Regulatory capital, hybrids and the OECD recommendations under Action 2
- Resource Capital Fund IV : uncertainties persist in private equity
- Restrictions on deferred compensation
- Roche Products case : increasing role of transfer pricing
- Ruling denies capital gains tax discount
- Ruling on transfer pricing and business restructuring
- Securitization - the position of SPVs under Australian GST
- Securitization and thin capitalization
- Securitization, capital adequacy and the impact of IFRS, FASB 140 and FIN 46R
- Segregated portfolio companies and captive insurance arrangements
- Short selling : restriction or regulation?
- Singapore Telecom case : reconstruction powers in transfer pricing
- Stapled structures - toughening up the rules
- Stapled structures and infrastructure projects
- Staples in infrastructure, debt financing and tax avoidance
- Sukuk : financial instruments under Islamic law
- Supplies under continuing lease : the impact of the MBI Properties decision
- Targeted integrity rule and its application
- Tax information gathering
- Tax treatment of securitizations of receivables : Australia
- Taxation of financial arrangements and hedge effectiveness
- Taxing Uber drivers
- Taxing of financial arrangements : changes to come
- Taxpayer alert on thin capitalization and internally generated intangibles
- Textron: work product privilege and FIN 48
- The Australian offshore banking unit regime : modernizing the rules
- The OECD base erosion and profit shifting initiative in an Australian context - the current state of play
- The changing fortunes of private equity
- The effect of global intangible low-taxed income on US investment in Australia
- The future of legal professional privilege : an Australian perspective
- The taxation of individuals
- The taxation of resource companies in Australia
- The vexed question of deductibility - Fini H and the position in Australia and New Zealand
- Thin capitalization and transfer pricing
- Thin capitalization ratios come under scrutiny
- Traditional securities, qualifying securities and the new rules for taxation of financial arrangements (TOFA)
- Transactional net margin method not favoured by the Australian Federal Court
- Transfer pricing : twin powers of assessment
- Transfer pricing comparability : perspectives of OECD, Australia and United States
- Transfer pricing obligations and significant global entities
- Transfer pricing reform: better late than never
- Transfer pricing rules and the business profits article of the OECD Model Tax Convention - recent developments
- Transfer pricing, thin capitalization and debt-equity rules
- Transfers of business and farm land under Australian GST
- Trust streaming : decluttering the law
- US shareholder tax relief 2003 : a comparative analysis
- Venture capital : the market receives a boost
- Venture capital investment and holding companies
- Xilinx : the unfinished business
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<div class="citation" vocab="http://schema.org/"><i class="fa fa-external-link-square fa-fw"></i> Data from <span resource="http://link.library.ibfd.org/resource/YSv50YPvUSc/" typeof="Person http://bibfra.me/vocab/lite/Person"><span property="name http://bibfra.me/vocab/lite/label"><a href="http://link.library.ibfd.org/resource/YSv50YPvUSc/">Joseph, A</a></span> - <span property="potentialAction" typeOf="OrganizeAction"><span property="agent" typeof="LibrarySystem http://library.link/vocab/LibrarySystem" resource="http://link.library.ibfd.org/"><span property="name http://bibfra.me/vocab/lite/label"><a property="url" href="http://link.library.ibfd.org/">International Bureau of Fiscal Documentation</a></span></span></span></span></div>
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<div class="citation" vocab="http://schema.org/"><i class="fa fa-external-link-square fa-fw"></i> Data from <span resource="http://link.library.ibfd.org/resource/YSv50YPvUSc/" typeof="Person http://bibfra.me/vocab/lite/Person"><span property="name http://bibfra.me/vocab/lite/label"><a href="http://link.library.ibfd.org/resource/YSv50YPvUSc/">Joseph, A</a></span> - <span property="potentialAction" typeOf="OrganizeAction"><span property="agent" typeof="LibrarySystem http://library.link/vocab/LibrarySystem" resource="http://link.library.ibfd.org/"><span property="name http://bibfra.me/vocab/lite/label"><a property="url" href="http://link.library.ibfd.org/">International Bureau of Fiscal Documentation</a></span></span></span></span></div>