This content is from: Canada

Non-residents and Canadian tax authorities' right to assess withholding taxes

Following the Canadian federal tax authority’s failure to quash JP Morgan’s application for judicial review, the Canadian Federal Court will finally have to decide whether the tax authority unfairly exercised its right to reassess JP Morgan’s withholding tax liability.

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

Read this article – and more – for a 30 day period.

REQUEST ACCESS

Are you already an ITR subscriber? Log in here

Instant access to all of our content. Membership Options | 30 Day Trial

Related