Perspectives on the proposed double taxation agreement between Papua New Guinea and Australia
Kibuta Ongwamuhana
Abstract
Open-access reader
Kibuta Ongwamuhana
Abstract
Open-access reader
In this article, the author examines the proposed Double Taxation Treaty between Australia and Papua New Guinea. Apart from analysing specific provisions, he discusses the proposed Agreement’s immediate implications on Australia’s domestic tax position, and the manner in which this Agreement departs from Australia’s overall tax treaty regime. The discusssion shows that this will be a unique tax treaty in many respects.
A significance statement is not available in the OpenAlex record.
A contribution statement is not available in the OpenAlex record.
Method details are not available in the OpenAlex metadata.
Findings are not separately available in the OpenAlex metadata.
Limitations are not available in the OpenAlex metadata.
Application details are not available in the OpenAlex metadata.
In this article, the author examines the proposed Double Taxation Treaty between Australia and Papua New Guinea. Apart from analysing specific provisions, he discusses the proposed Agreement’s immediate implications on Australia’s domestic tax position, and the manner in which this Agreement departs from Australia’s overall tax treaty regime. The discusssion shows that this will be a unique tax treaty in many respects.
Key concepts: Tax treaty, Treaty, Double taxation, New guinea, Position (finance), Agreement, International economics, Economics