Advised on Australian tax aspects associated with a trade receivables securitisation program, including Division 6C trust issues, interest withholding tax, thin capitalisation and GST.

This publication is introductory in nature. Its content is current at the date of publication. It does not constitute legal advice and should not be relied upon as such. You should always obtain legal advice based on your specific circumstances before taking any action relating to matters covered by this publication. Some information may have been obtained from external sources, and we cannot guarantee the accuracy or currency of any such information.

Related Capabilities