This content is from: Home

Canada: Structuring acquisitions involving Canadian targets

One important consideration for a non-resident structuring an acquisition of a Canadian corporation is to ensure that income of the corporation can be repatriated with a minimum of Canadian tax, explains Henry Chong of Gowlings – Taxand

To access our market-driven intelligence please request a trial here.

Read this article – and more – for a one-week period.

REQUEST ACCESS

Are you already an ITR subscriber? Log in here

Instant access to all of our content. Membership Options | One Week Trial

Related