ATO Tightens Scrutiny of Related-Party Financing
January 1, 2025

ATO Tightens Scrutiny of Related-Party Financing
The Australian Taxation Office (ATO) is introducing a new risk assessment system for loans between related international parties. Under the latest practical compliance guideline (PCG 2025/D2), companies must review transfer pricing arrangements before considering thin capitalisation, thereby increasing compliance demands for all inbound financing.
Source:
ATO Draft PCG 2025/D2