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Expert Analysis

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Sameer Nurmohamed, partner, Deloitte Legal Canada
June 5, 2026
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  • The new US administration is proposing dramatic changes to the international tax provisions in the tax code. Barbara Angus, Eric Oman and Rob Kulik of Ernst & Young discuss the latest developments.
  • China's recent efforts to combat abusive planning can be seen best in the recent transfer pricing regulations, explain David Cho, Michael To and Newton Shum of Mazars in Hong Kong
  • Not all Mexican-source income is treated as business income, which might equate to an override of all the articles on business profits of the Mexican tax treaty network. Ricardo Rendón and Oscar López-Velarde of Chevez, Ruiz, Zamarripa y Cia explain.

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