Partners
Associates
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Corporate Tax
Publications
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| 09/18/2012 |
Recent Developments in Canadian International Taxation
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| 09/18/2012 |
The Ontario Foreign Tax Credit Regime After Harmonization
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| 09/18/2012 |
Foreign Spin-offs
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| 09/18/2012 |
Canada Revenue Agency Tax Ruling - Conversion of a Dutch BV into a Dutch Cooperative
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| 07/30/2012 |
"News Analysis: Canada's Foreign Affiliate Dumping Rules - Some Comfort", Tax Notes International, Vol. 67, No. 5, July 30, 2012
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| 01/09/2012 |
"Canadian Tax Reporting Obligations: Let's Be Reasonable", Tax Notes International, Vol. 26, No. 2, January 9, 2012, p.141
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| 06/09/2011 |
"Taxpayer Wins Partial Victory in Transfer Pricing Case", Tax Notes International, Vol. 62, No. 11, June 9, 2011, p.852
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| 03/16/2011 |
"Braydon - The Requisite Intent for Fraudulent Conveyances", National Creditor/Debtor Review, Vol. 26, No. 1, March 2011
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| 02/07/2011 |
"No Tax Triggered When Affiliate Converts to Co-Op, CRA Says", Tax Notes international, Vol.61, No. 6, February 7, 2011, p.415
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| 03/11/2010 |
"Recent Developments of Importance in Litigation - Corporate Tax", The 2010 Canadian Legal Lexpert Directory
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| 02/03/2010 |
Co-Author "Recent Developments of Importance in Litigation - Corporate Tax", The 2010/2011 Lexpert CCCA/ACCJE Corporate Counsel Directory and Yearbook
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| 12/08/2009 |
"Indofood: A Futile Search for 'Beneficial owner'", Asia Pacific Forum News, December 2009
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| 12/01/2009 |
Co-author, "Tax and International Joint Ventures – Who’s Driving the Bus?" Federated Press, 2nd International Joint Ventures, December 1-2, 2009
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| 08/25/2009 |
“Implications of Restructuring a Canadian Unlimited Liability Company: Fallout from the Fifth Protocol,” Canadian Tax Journal, Vol. 57, No. 1, p. 171-92, 2009
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| 02/24/2009 |
"Corporate Tax Litigation Update" - The 2009 Lexpert Guide to the Leading US/Canada Cross-Border Litigation Lawyers in Canada
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| 09/29/2008 |
"378 Days to Victory: The Conduct of a Successful Tax Appeal" , Tax Notes International Vol. 51, No. 13, September 29, 2008, p. 1103
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| 08/05/2008 |
Co-author, "Expedited Victory: Taxpayers Prevail in Permanent Establishment Cases", CCH International Tax, No. 41, August 2008
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| 04/23/2008 |
"Mandatory Treaty Arbitration: Play Ball", CCH International, April 2008, p. 4
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| 01/21/2008 |
"The Canada-US Tax Treaty Protocol: Where Have All The Hybrids Gone?", Tax Notes International, Vol. 49, No. 3, January 21, 2008, p.271
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| 07/19/2007 |
"MIL (Investments) – A Resounding Win for the Taxpayer", CCH International, July 19, 2007, p. 1
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| 04/27/2007 |
"Canada Clarifies Tax-Exempt Status of Cross-Border Fundraising Activities", Tax Notes International, April 27, 2007
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| 04/23/2007 |
"Reassessment Limitation Periods: What’s in Your Treaty?", Tax Notes International, April 23, 2007, p.385
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| 03/20/2007 |
Co-author, "Weyerhauser and Regulation 105 – What’s Rendered in Canada Stays in Canada (But Can I Have A Receipt, Please?)", Canadian Current Tax, March 2007, p. 53
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| 03/08/2007 |
"CRA Confirms Exemption for Cross-Border Fundraising Activities", Tax Notes International, May 7, 2007, p. 539
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| 11/08/2004 |
Co-author, "Courts Allow Deduction for Foreign Currency Loss", Tax Notes International, November 8, 2004, p. 511
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| 05/19/2004 |
Co-author, "Tax Initiatives in the 2004 Canadian Federal Budget", Tax Planning International Review, May 2004
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