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  • International dealings schedule instructions 2013

    About these instructions



    This information may not apply to the current year. Check the content carefully to ensure it is applicable to your circumstances.

    End of attention

    Use these instructions to help you complete the International dealings schedule 2013 (NAT 73345). The schedule forms part of your entity's tax return.

    This publication is not a guide to income tax law. The examples presented in the instructions only illustrate how the schedule should be completed and should not be relied upon for technical guidance. If you feel that this publication does not fully cover your circumstances, you should get help from us or a recognised tax adviser.

    You can also provide feedback on any difficulties you have in completing the questions in the schedule. We will use this information for future versions of the schedule. Provide this feedback by either:

    • emailing the IDS project team at
    • lodging a paper return, including a covering letter with your schedule.

    Publications and services

    To obtain one of our publications referred to in these instructions or for information about our other services, see More information.

    We issue public rulings setting out our policies on the taxation aspects of international related party dealings. It is recommended that if you had any international related party dealings you should be familiar with these rulings. Those public rulings include:

    • TR 94/14External Link Income tax: application of Division 13 of Part III (international profit shifting) – some basic concepts underlying the operation of Division 13 and some circumstances in which section 136AD will be applied
    • TR 97/20External Link Income tax: arm's length transfer pricing methodologies for international dealings
    • TR 98/11External Link Income tax: documentation and practical issues associated with setting and reviewing transfer pricing in international dealings
    • TR 1999/1External Link Income tax: international transfer pricing for intra-group services
    • TR 2004/1External Link Income tax: international transfer pricing – cost contribution arrangements
    • TR 2010/7External Link Income tax: the interaction of Division 820 of the Income Tax Assessment Act 1997 and the transfer pricing provisions
    • TR 2011/1External Link Income tax: application of transfer pricing provisions to business restructuring by multinational enterprises.

    Find out more

    For more information

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    Last modified: 12 Feb 2014QC 35686