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Senior McCarthy Tétrault tax practitioners highlight significant updates and implications for multinationals as Canada’s transfer pricing rules become more closely aligned with OECD guidance
June 3, 2026
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  • The legal battle over the scope of work-product protection flared up again when the US Court of Appeals for the District of Columbia on June 29 issued its opinion in US v Deloitte.
  • The effective tax rate is flawed as a measure of the value created by a company's tax department, believes Rutger Hafkenscheid of VMW Taxand. He highlights a different way.
  • The UK's First Tier Tribunal decision in Swift determined, contrary to the accepted position, that a Delaware LLC is transparent for UK income tax purposes. Though the decision does not set any binding precedent, William Arrenberg of Herbert Smith believes it has wider implications than many appreciate

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