Cross border lending after Chevron


The Full Federal Court in Chevron Australia Holdings Pty Ltd v Commissioner of Taxation [2017] FCAFC 62 has confirmed several issues arising from the application of Australian transfer pricing laws to cross-border lending, the most significant of these being the basis on which a hypothetical arm’s-length transaction is constructed. In this seminar, chaired by John de Wijn QC, Greg Davies QC and Andrew Broadfoot QC will address the issues arising from the decision with an emphasis on what are the likely implications for taxpayers of the Court’s approach to constructing hypothetical arm’s-length transactions for existing and future cross-border lending. 

Drinks will follow the seminar

Registration is essential for this seminar. Please email