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Legislation
ATO documents that consider ITAA 1936 s 400(aa)
2 documents
Income tax: application of the Division 13 transfer pricing provisions to loan arrangements and credit balances
Income tax: foreign income: could the Commissioner provide general guidelines on the application of the transfer pricing provisions of Division 13 to non arm's length loans provided by a controlled foreign company (CFC) resident in a listed country to another CFC resident in the same listed country?