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Expert Analysis

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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 introduction of new transfer pricing rules should not cause undue worry for multinational companies with Irish operations. They will already have experience of related-party compliance, points out Dan McSwiney of Ernst & Young
  • For North American tax directors, focus has shifted from the struggle to survive during economic free-fall to possible future changes to the US international tax system. Erin Kelechava spoke with corporate tax executives to gauge their reaction to the proposals for reform that will most significantly affect their tax practice
  • The thin capitalisation group litigation has the transfer pricing world transfixed. Katie Camp of Freshfields Bruckhaus Deringer explains the importance of the High Court decision.

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