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Treaty between Australia and United States – ATO rules payments for hire of substantial equipment not subject to withholding tax

|Treaty Development|Australia-United States
Australia-United States

The Australian Taxation Office released on 24 October 2008 Interpretative Decision ATO ID 2008/140, which provides that payments to a US resident for hire of substantial equipment are not subject to royalty withholding tax in Australia.

Generally, such payments would be royalties under the domestic definition and therefore royalty withholding tax would apply to these payment…

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