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Globe-Trotting Sportsman Or Entertainer: Australia

An Australian citizen with extensive, international, multi-sourced income is not in a good tax situation unless he or she can establish non-residence (select 'High-Tax Country Resident Planning To Go Offshore' and 'Australia'.)

If resident in Australia, the peripatetic professional may well find himself paying withholding tax in a number of countries which cannot in some cases be reclaimed or set off against Australian taxation because of the absence of a tax treaty.

Such an individual will almost certainly resort to corporate structures to market his or her skills and manage derivative income flows. It may well be that these can usefully be based in offshore jurisdictions, although complex structures may be necessary if the Controlled Foreign Company legislation is to be avoided.

Apart from the extra difficulty of minimising tax on the income side, an Australian-resident sportsman or entertainer will be in the same position as any other Australian resident (select 'High-Tax Country Resident Planning To Go Offshore' and 'Australia'.)

If a foreign sportsman or entertainer becomes Australian resident, then he or she is in the same position as an expatriate executive - (select 'Expatriate Executive' and 'Australia'.)

Such individuals who have significant 'active' business income may be able to make use of offshore corporate tax shelters.

www.lowtax.net contains details of the offshore business sectors of 35 jurisdictions, and their taxation.

NB: The suggestions given above do not constitute investment advice. They are intended only to assist individuals in finding appropriate professional advice, which is essential for anyone planning offshore investment.






 

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