• The SbS system is here: Unboxing the SbS package
    Jan 7 2026

    In this episode, Bruno Aniceto da Silva, Senior Advisor, unveil the SbS package which brings 4 new Safe Harbours related to the SbS System, the Substance Based Tax Incentives and material simplifications in the ETR calculations. These represent significant developments that may apply already as from 1 January 2026.

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    25 Min.
  • The 2025 Update to the OECD Model Tax Convention: Global Mobility and Beyond
    Dec 3 2025

    In this episode of the podcast series, Bruno Aniceto da Silva, Senior Advisor – Global Tax Policy & Controversy, analyzes the impact of the 2025 update to the OECD Model Tax Convention, which will be incorporated into a revised version of the OECD Model to be published in the coming months.

    Episode highlights:

    • Global Mobility and clarification of circumstances under which cross-border work from a home office can give rise to a Permanent Establishment
    • Introduction of a new alternative provision on the taxation of activities involving extractible natural resources
    • Transfer Pricing related clarifications included in the update
    • Addition of a new paragraph to the Mutual Agreement Procedure (MAP) article
    • Developments relating to Exchange of Information
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    15 Min.
  • Tariffs, Tangles and the Hong Kong Advantage
    Nov 25 2025

    In this episode, Andy Winthrop, Senior Director, dives into Tariffs, Tangles, and the Hong Kong Advantage, highlighting the evolving dynamics of global trade where customs duties, shifting policies, and supply-chain challenges intersect with opportunity. He unpacks how tariffs reshape supply chains, why trade negotiations often become tangled, and how Hong Kong’s unique position as a free port provides a competitive edge. It’s an episode that considers both friction and leverage in international commerce, informed by sharp analysis and real-world insights. He also provides an overview of shifting tariff exposure and its impact on supply chains.

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    8 Min.
  • Australian Public Country-by-Country Reporting
    Nov 18 2025

    In this episode, David Letos, Executive Director and Josh Johnson, Senior Director from A&M Australia’s Transfer Pricing Practice bring you insights into Australia’s new Public Country-by-Country reporting rules.

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    13 Min.
  • BEPS Pillar Two: Envisioning the Revised Framework
    Nov 12 2025

    In this episode, Matt Andrew, Managing Director and Bruno Aniceto da Silva, Senior Advisor delve into the latest developments in BEPS Pillar Two, anticipated to come into effect as early as January 2026.

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    12 Min.
  • Reducing VAT Complexity: Rethinking Indirect Taxes and Compliance in Evolving European Business Models
    Nov 5 2025

    In this episode, Anastasia Buettner, Managing Director from A&M Australia bring you insights into Reducing VAT Complexity: Rethinking Indirect Taxes and Compliance in Evolving European Business Models.

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    10 Min.
  • Global Minimum Tax – Latest developments on Tax Incentives and Simplified Safe Harbours
    Sep 30 2025

    In this episode, Jayde Thompson, Managing Director and Hang Vo, Senior Director from A&M Australia’s International Tax Practice bring you the latest developments on the treatment of tax incentives under the GloBE Rules and the potential introduction of a Simplified Safe Harbour.

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    11 Min.
  • PepsiCo – Rethinking Royalties and Transactions
    Sep 17 2025

    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.

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    15 Min.