Our Global Tax Policy and Controversy (TPC) Group at A&M Tax is excited to introduce a new podcast series, “A&M Tax Talks: Tax Policy Updates”, which delivers the latest insights and our views on the evolving tax policy landscape. This series explores timely and relevant topics, highlighting their impact on organizations and key considerations for effective planning and strategic decision-making.
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Our Global Tax Policy and Controversy (TPC) Group at A&M Tax is excited to introduce a new podcast series, “A&M Tax Talks: Tax Policy Updates”, which delivers the latest insights and our views on the evolving tax policy landscape. This series explores timely and relevant topics, highlighting their impact on organizations and key considerations for effective planning and strategic decision-making.
In this episode, we unpack the Australian High Court’s landmark decision in PepsiCo, which has significant implications for the tax treatment of cross-border payments involving intellectual property use. We explore how the Court’s rejection of the Australian Taxation Office's embedded royalty argument reaffirms the primacy of arm’s-length commercial arrangements in determining tax characterisation. Tune in to understand what this decision means for multinational enterprises and how it may shape future cross-border tax planning.
A&M Tax Talks: Tax Policy Updates
Our Global Tax Policy and Controversy (TPC) Group at A&M Tax is excited to introduce a new podcast series, “A&M Tax Talks: Tax Policy Updates”, which delivers the latest insights and our views on the evolving tax policy landscape. This series explores timely and relevant topics, highlighting their impact on organizations and key considerations for effective planning and strategic decision-making.