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Legislation
ATO documents that consider ITAA 1936 s 128B(2A)
3 documents
The application of the Business Profits Article in relation to the Interest Article in the double tax convention between Australia and New Zealand (the New Zealand Agreement)
Interest withholding tax on interest received by a US Limited Liability Company
Withholding tax: interest derived by an Australian resident in carrying on business at or through a permanent establishment outside of Australia