{"id":45971,"date":"2023-10-20T15:47:38","date_gmt":"2023-10-20T15:47:38","guid":{"rendered":"http:\/\/startupsmart.test\/2023\/10\/20\/why-forcing-google-and-other-tax-avoiders-to-have-a-taxable-presence-wont-work-startupsmart\/"},"modified":"2023-10-20T15:47:38","modified_gmt":"2023-10-20T15:47:38","slug":"why-forcing-google-and-other-tax-avoiders-to-have-a-taxable-presence-wont-work-startupsmart","status":"publish","type":"post","link":"https:\/\/www.startupsmart.com.au\/uncategorized\/why-forcing-google-and-other-tax-avoiders-to-have-a-taxable-presence-wont-work-startupsmart\/","title":{"rendered":"Why forcing Google and other tax avoiders to have a ‘taxable presence’ won’t work – StartupSmart"},"content":{"rendered":"
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One of the critical provisions in anti-avoidance measures aimed at multinational companies announced in last week\u2019s federal budget will be what constitutes a \u201ctaxable presence\u201d in Australia.<\/p>\n

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Treasurer Joe Hockey has specifically targeted 30 companies which artificially avoid having a \u201ctaxable presence\u201d in this country. The government will introduce laws in Part IVA of the income tax assessment act and these will be effective from 1 January 2016.<\/p>\n

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But as QUT\u2019s Professor of Taxation Kerrie Sadiq wrote on the night of the budget, not all tax avoiders will be caught up in the new rules and Antony Ting has also argued they aren\u2019t a strong enough tool to help the Australian Taxation Office (ATO).<\/p>\n

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The exact definition of \u201ctaxable presence\u201d is not provided, the 30 firms targeted are not named and, according to the Treasury budget papers, the gains from this measure are unquantifiable. The only additional information provided in the budget is that this will apply to companies where:<\/p>\n

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