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Legislation
ATO documents that consider ITAA 1936 s 128D
112 documents
Interest withholding tax on interest received by a US Limited Liability Company
Income tax: interest withholding tax - cross-border interbranch funds transfers within resident authorised deposit-taking institutions
Income tax: retail premiums paid to shareholders where share entitlements are not taken up or are not available
Income tax: taxation of financial arrangements - application of subsections 230-30(2) and 230-30(3) of the Income Tax Assessment Act 1997 to gains and losses relating to exempt income or non-assessable non-exempt income
Withholding tax - New Zealand resident in receipt of dividends from Australian resident company
Assessability of Australian sourced franked dividends, unfranked dividends and interest received by a non-resident taxpayer
Calculation of a prior year loss for a non resident
Withholding Tax - UK resident receiving Australian sourced royalties
Income: Trustee of a Trust with a Non-Resident Beneficiary (Unfranked Dividends)
Income: Trustee of a Trust with a Non-Resident Beneficiary (Franked Dividends and Imputation Credits)
Assessability of Australian sourced dividend income received by a UK resident
Assessability of Australian sourced interest income received by a UK resident