Crypto blockchains lie at the core of everything crypto. In this episode Harrison Dell will walk you through an example.
Non-ECI Non-FDAP - how is US sourced income that is neither ECI nor FDAP taxed in the US if derived by a non-resident?
In this episode let's talk about the common distinction between investor v trader, air drops and rug pulls in smart contracts and how this is taxed.
How LLC income is taxed in the US - disregarding any treaty position - depends on three things as Gary Carter will tell you in this episode.
The subdivision of land is not a CGT event itself, but it often comes along with one as Andrew Andreyev will tell you in this episode.
A single member LLC is a disregarded entity for US federal tax purposes. The Australian entity assumes all US federal tax obligations instead.
CGT event K6 never happens alone - it is always triggered by another CGT event as Andrew Henshaw will tell you in this episode.
10,000 Clients - that is what Lucy Cohen of Mazuma Accountants is aiming for. Here she tells you what she is doing to get there.
Pitch your nitch - if this was easy, we would all be doing it. But it isn’t. So let this episode give you some food for thought.
Putting a duplex development onto a site that was previously a main residence can throw a lot of tax issues at you.
In this duplex development brainstorming session let's talk about the tax implications of duplex developments.
How should you structure a property development project for tax purposes? Here is Andrew Andreyev of Andreyev Lawyers with some thoughts.
A default beneficiary might save your trustee from paying top marginal tax rates on trust income and capital gains - without a 50% CGT discount.
For an expansion into the US is it best if your Australian trust holds LLC interests directly? Rather than going through a C-Corp?
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