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On February 12, 2020, in Canada v Alta Energy Luxembourg S.A.R.L. (2020 FCA 43), the Federal Court of Appeal ("FCA") unanimously held that the general anti-avoidance rule ...
Blaney McMurtry LLP
In the past week, the global number of coronavirus cases doubled to more than 300,000.
Moodys Gartner Tax Law LLP
Today, the federal government announced Canada's COVID-19 Economic Response Plan (the "Plan"), an $82 billion support plan for individuals and businesses in response to the COVID-19 crisis.
Crowe Soberman LLP
On March 18, 2020, the Government announced a series of economic measures designed to support Canadian workers and businesses.
Blake, Cassels & Graydon LLP
On Tuesday, March 10, 2020, the Government of Quebec delivered its 2020-2021 Budget.
Minden Gross LLP
In the November 2019 TaxLetter issue, I discussed how estate freezes were still a good planning tool for family-owned businesses.
Gowling WLG
The Canada Revenue Agency ("CRA") recently canceled Information Circular 87-2R ("IC"), which was a primary policy document on how the CRA applied transfer pricing legislation.
Gowling WLG
Tedesco et al[1] concerned whether it would be an "abuse of process by re-litigation" if members of a partnership continued to pursue an appeal relating to the validity...
Moodys Gartner Tax Law LLP
On top of these market troubles, our local Alberta economy has suffered a prolonged downturn since 2014.
Rotfleisch & Samulovitch P.C.
For U.S. federal income-tax purposes, one may hold one of two sorts of interests in a partnership—or any entity that the U.S. taxes as a partnership, such as a limited liability company: a capital interest or a profits interest.
Rotfleisch & Samulovitch P.C.
The CRA is obligated to apply Canada's tax act and its regulations fairly and uniformly. This includes ensuring that all taxpayers pay their tax liability owing to the Crown.
Moodys Gartner Tax Law LLP
Complying with US tax reporting is often a complex and time-consuming process for US persons living abroad.
TaxChambers LLP
Liberal party calls for taxing wealthy may seem non-controversial, but tax lawyers warn of unintended consequences.
Rotfleisch & Samulovitch P.C.
In the recent case of Scott v Queen 2020 TCC 4, the Tax Court of Canada released yet another decision regarding section 160 of the Income Tax Act.
Miller Thomson LLP
Subsection 107(2) of the Income Tax Act[1] generally provides for a tax-deferred rollout of capital property held by the trustees of a Canadian-resident personal trust to their capital beneficiaries in satisfaction of their capital interests in the trust.
O'Sullivan Estate Lawyers LLP
With an aging population, and the trillion dollar transfer of wealth to occur in the face of a shrinking income tax base, and in the face of what some assert is an increasing concentration of wealth at the top, ...
Rotfleisch & Samulovitch P.C.
Section 261 of Income Tax Act generally requires amounts reported on Canadian tax returns and other tax filings be reported in Canadian currency.
Crowe Soberman LLP
The 2020 tax filing season comes with several new changes which can impact your tax return.
Torys LLP
On February 21, Québec enacted An Act mainly to establish the Centre d'acquisitions gouvernementales and Infrastructures technologiques Québec (Penalty Act).
Crowe Soberman LLP
The 2020 issue of our annual newsletter, The Checkup, is now available for download.
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