BM Morrison Partners LLC
On 11 June 2019, the President of the Republic issued Decree No 724 updating the list of jurisdictions and territories with preferential taxation
British Virgin Islands
The BVI ITA announced it is accepting electronic CbCR filings and FATCA / CRS deadline extensions.
On Friday, May 15, Chief Justice Rossiter of the Tax Court of Canada ("TCC") provided an informative status update on the TCC during the COVID19 shutdown and preparing for eventual reopening.
O'Sullivan Estate Lawyers LLP
A Canadian estate with U.S. connections can face complications due to the presence of any one of a number of factors.
Minden Gross LLP
Tax lawyer Samantha Prasad, LLB, TEP, co-presented "Latest Tax Issues & Update in the Time of COVID-19" with Yaron Orgil, CIMA®, FCSI®, of Richardson GMP Ltd. on tax assistance available...
Miller Thomson LLP
Recent statements from Canada Revenue Agency ("CRA") confirmed a reversal of their position on the interplay between amounts deemed to be dividends under paragraph 84.1(1)(b) of the Income Tax Act.
McCarthy Tétrault LLP
Alerte au lecteur : le 15 mai 2020, le gouvernement du Canada a annoncé que la subvention salariale d'urgence du Canada (« SSUC ») sera prolongée de 12 semaines, soit jusqu'au 29 août 2020, ...
McCarthy Tétrault LLP
Le 15 mai 2020, le gouvernement du Canada a annoncé les changements suivants à la Subvention salariale d'urgence du Canada (la « SSUC ») :
McLennan Ross LLP
The COVID-19 pandemic has impacted every facet of regular life for Canadians. We see this in the health care authorities issuing safety guidelines, the government implementing economic measures to...
Rotfleisch & Samulovitch P.C.
If your business is subject to a tax audit by the Canada Revenue Agency ("CRA") and you think the results of the audit are incorrect you can dispute the result.
AGP Law Firm | A.G. Paphitis & Co. LLC
The Covid-19 crisis has not only led to serious implications for human lives, it is significantly impacting businesses and economies.
Council Directive (EU) 2018/822 (the "Directive" and "DAC6") imposes a new obligation on EU based "intermediaries" (as well as taxpayers in certain circumstances) to report on certain "cross-border arrangements"...
On 7 May 2020, the European Commission published an action plan designed to strengthen the EU's framework for preventing money laundering and terrorist financing. This note provides an overview of the main features of the plan.
In light of the COVID-19 crisis and the disruptions to business and the movement of people, the European Commission (following weeks of intense lobbying) published a proposed Directive...
Rahman Ravelli Solicitors
Syedur Rahman of business crime solicitors Rahman Ravelli hopes the action prompts other states to make sure they meet their obligations.
Like the late 19th and early 20th Century Scramble for Africa, the unilateral scramble for digital tax revenues by jurisdictions
The Central Board of Direct Taxes has eased the tax residency rules for the financial year 2019-20 for non-residents stranded in India due to the Covid-19 pandemic.
Khaitan & Co
The Supreme Court of India in Union of India & Anr v UAE Exchange Centre, held that the liaison office set up by UAE Exchange Centre LLC in India does not constitute its permanent establishment in India.
BDO India LLP
In line with the announcement by the Government while presenting the Union Budget 2020 with an aim to reduce tax disputes the Direct Tax Vivad Se Vishwas Act, 2020 has been enacted on 17 March 2020.
BDO India LLP
With a view to provide tax certainty and reduce litigation in the area of Transfer Pricing, Safe Harbour Rules were introduced in 2013.