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It considers the taxation of foreign trusts and why it is usually considered to be the most complex of foreign income anti-deferral measures. Wealthy and his children are Australian residents and all their worldwide income will be subjected to Australian taxation. The potential anti-deferral regimes namely, Controlled foreign trust (CFT) rules in Part X, Transferor trust rules in Division 6AAA, Foreign Investment Fund (FIF) rules in Part XI, Deemed present entitlement rules in section 96A-C may apply to taxpayers such as Wealthy with interest in a non-resident trust and to deter or avoiding pay tax on a current basis...
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Common topics in this essay:
- Big Rock Income Trust
- Canadian Income Tax I
- Income Smoothing
- Income Tax Law Research
- Income Tax Research
- Income Tax
- Income Taxes
- An Analysis Of The Term Actually Incurred In Section 11(a) Of Income T
- National Income
- Income Tax in India
- income
- Net Factor Income from Abroad
- Household Income
- Income GAPS
- Income Gap
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