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13 documents
Application of Australia/Germany DTA to a German Investment Fund
Assessability of rental income from real property situated in the United States of America
Assessability of Australian sourced interest income received by a Netherlands resident
Assessability of interest income received by a dual resident of Australia and the United States
Assessability of dividends received by a dual resident of Australia and the United States
Assessability of Australian rental income derived by a resident of Singapore
Assessability of royalties received from the United States by a dual resident of Australia and the United States
Assessability of rental income received from real property situated in the US by a dual resident of Australia and the United States
Right to tax dividends paid to non-resident company: application of Article 10(7) of the Australia-United States Double Tax Convention
Assessability of interest income derived by a UK resident
Assessability of rental income received from Switzerland: foreign tax credits
Income tax: can section 23AJ of the Income Tax Assessment Act 1936 apply to a dividend when it is paid by a company (not being a Part X Australian resident) to an Australian resident company which receives it in its capacity as a partner in a partnership?
Income tax: can section 23AJ of the Income Tax Assessment Act 1936 apply to a dividend paid by a company (not being a Part X Australian resident) to the trustee of a trust, even where the trustee then pays an amount attributable to the dividend to an Australian resident company beneficiary?