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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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  • For Canadian taxpayers and tax professionals, the general anti-avoidance rule, or GAAR, is synonymous with uncertainty. A new Supreme Court case will address some of the inconsistencies that have developed in the 18 years since the country enacted it. Erin Kelechava speaks to lawyers and the Canadian Revenue Agency about the court cases that have developed the doctrine and where they think the interpretation of GAAR is headed.
  • Immature tax and regulatory rules mean that investment in Ukraine is only for hardened risk takers. However, the new government should give investors hope that things may change, say Viktor Nevmerzhitsky and Andriy Dovbenko of Ernst & Young
  • Switzerland has worked hard to attract fund management. It should reform its withholding tax provisions if it wants to get the most out of this investment, argue Roger Dall'O & Monika Gammeter Utzinger of Tax Partner – Taxand

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