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Technical and regulatory alerts

Thought leadership from Deloitte can help you evaluate complex issues, develop fresh approaches to problems and implement practical solutions. Explore below some of the most recent technical and regulatory alerts Deloitte has issued, and be sure to check back frequently for the most up-to-date material.

More Insights

  • June 2014 Large proprietary company model financial statements
    This publication is a key tool to assist you in meeting your financial reporting obligations, particularly the preparation of the annual financial statements.
  • Protecting the knowledge economy
    While the value of intellectual property (IP) can be difficult to quantify, protecting inventions, designs, images, symbols and logos, as well as systems, processes, business plans, and customer lists developed by individuals or businesses is critical.
  • Tax highlights
    In this current edition, we discuss about OECD's base erosion and profit shifting project, annual review of ATO draft and an update on exposure draft released by Government on 'dividend washing'.
  • Son of Holdback & Luxury Car Tax (LCT)
    Deloitte has developed a number of questions being posed by our clients in the motor dealer sector, and our typical responses. Dealers are encouraged to obtain their own advice on the LCT consequences of the Son of Holdback decision.
  • NFC is failing but drugs may save payments
    Near Field Communication (NFC) was hyped to be the vehicle by which we would abandon our leather wallets but it hasn’t happened yet.
  • Fate of outstanding tax measures - Government announcement
    The Government has announced the outcome of the review concerning whether or not 64 unenacted tax and superannuation measures would proceed. The attached document sets out the key measures that will proceed and those that will not proceed.
  • Globalisation of FATCA for multilateral exchange of tax information
    Timing and key aspects of the OECD project for multilateral exchange of tax information based on the model 1 intergovernmental agreements for the U.S. Foreign Account Tax Compliance Act.
  • ATO practice statements following the decision in the Macquarie Bank case
    Macquarie Bank Limited v Commissioner of Taxation [2013] FCA 887 on the status of ATO practice statements. We also outline the status of the OBU changes.
  • AUD LIBOR discontinued ─ Can the LIBOR cap in Part IIIB still apply?
    We consider whether the LIBOR cap for interest deductions by Australian branches of foreign banks can still apply following discontinuation of the AUD LIBOR.
  • Specific integrity rule to address dividend washing
    Dividend washing an outline to the intended legislative approach to deny franking credits from dividend washing and the ATO’s interim approach.
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