Australia Issues Draft Determination on Meaning of 'Directly in Connection with' in Relation to Avoidance of Taxable Presence Rules
The Australian Taxation Office has published draft Taxation Determination (TD) 2018/D1 to clarify the Commissioner's view on the meaning of the expression 'directly in connection with' in relation to the conditions for the application of the anti-avoidance rules introduced by the Multinational Anti-Avoidance Law (MAAL). The purpose of the MAAL is to provide for the taxation of foreign entities…
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