This content is from: Canada

Canadian taxpayers hope appeal court limits scope of a foreign affiliate specific anti-avoidance rule

Jean Marc Gagnon and Emmanuel Sala, of Blake, Cassels & Graydon, comment on the most recent Canadian foreign affiliates tax decision dealing with the proper interpretation to be given to a specific anti-avoidance rule.

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