TIB index based from the NZ Tax Information Bulletin - kwister.net
Category interest
Volume 26 issue 004 | STUDENT LOAN SCHEME AMENDMENT ACT 2014 - REDUCED LATE PAYMENT INTEREST |
Volume 26 issue 004 | STUDENT LOAN SCHEME AMENDMENT ACT 2014 - MISCELLANEOUS TECHNICAL AMENDMENTS |
Volume 26 issue 007 | CFC REMEDIALS - EXTENDING THE ON-LENDING CONCESSIONS AND EXEMPTIONS FOR GROUP FUNDING |
Volume 26 issue 008 | SPECIAL DETERMINATION S27: CONVERTIBLE NOTES IN RESPECT OF A LIMITED PARTNERSHIP INTEREST |
Volume 26 issue 010 | PUBLIC RULING BR PUB 14/07: DEDUCTIBILITY - INTEREST REPAYMENTS REQUIRED AS A RESULT OF THE EARLY REPAYMENT OF A FINANCIAL ARRANGEMENT |
Volume 27 issue 005 | PUBLIC RULING BR PUB 15/09: INTEREST DEDUCTIBILITY - FUNDS BORROWED TO MAKE A PAYMENT TO A GROUP COMPANY UNDER SECTION IC 5 |
Volume 27 issue 009 | DETERMINATION FDR 2015/02: USE OF A FAIR DIVIDEND RATE METHOD FOR A TYPE OF ATTRIBUTING INTEREST IN A FOREIGN INVESTMENT FUND IN THE HARNESS MACRO CURRENCY FUND |
Volume 27 issue 009 | DETERMINATION FDR 2015/03: USE OF A FAIR DIVIDEND RATE METHOD FOR A TYPE OF ATTRIBUTING INTEREST IN A FOREIGN INVESTMENT FUND |
Volume 27 issue 010 | SPECIAL DETERMINATION S27A: CONVERTIBLE NOTES IN RESPECT OF A LIMITED PARTNERSHIP INTEREST |
Volume 28 issue 004 | DETERMINATION FDR 2016/02 - USE OF FAIR DIVIDEND RATE METHOD FOR A TYPE OF ATTRIBUTING INTEREST IN A FOREIGN INVESTMENT FUND |
Volume 28 issue 010 | Determination FDR 2016/05: Use of fair dividend rate method for a type of attributing interest in a foreign investment fund |
Volume 28 issue 010 | Determination FDR 2016/06: Use of fair dividend rate method for a type of attributing interest in a foreign investment fund |
Volume 29 issue 003 | 2017 International tax disclosure exemption ITR28 |
Volume 29 issue 004 | Taxation (Business Tax, Exchange of Information, and Remedial Matters) Act 2017: INTEREST-FREE STUDENT LOANS |
Volume 29 issue 008 | Product Ruling - BR Prd 17/03: Westpac New Zealand |
Volume 30 issue 006 | Determination FDR 2018/01: A type of attributing interest in a foreign investment fund for which a person may not use the fair dividend rate method |
Volume 30 issue 007 | Determination FDR 2018/02 - A type of attributing interest in a foreign investment fund for which a person may use the fair dividend rate method (Units in the Two Trees Global Macro Fund) |
Volume 31 issue 003 | BEPS - Interest limitation rules |
Volume 31 issue 003 | 2019 International tax disclosure exemption ITR30 |
Volume 31 issue 003 | Special Determination S61: Optional Convertible Notes with Discretionary Interest Payments |
Volume 31 issue 004 | Other policy matters - FRINGE BENEFIT TAX ON EMPLOYMENT RELATED LOANS - MARKET INTEREST RATE |
Volume 31 issue 004 | Remedial items - BEPS REMEDIALS - INTEREST LIMITATION |
Volume 31 issue 008 | Social policy changes - INTEREST-FREE STUDENT LOANS |
Volume 32 issue 004 | INTEREST FOR NEW ZEALAND-BASED BORROWERS |
Volume 34 issue 002 | BR Prd 22/01: Kiwibank Ltd |
Volume 34 issue 004 | QB 22/01: Can a payment that compensates for the time value of money be taxable income if it is outside the statutory definition of ##interest##? |
Volume 34 issue 006 | Order in Council - Income Tax (Deemed rate of return on Attributing Interests in Foreign Investment Funds# 2021-22 income year) Order 2022 |