Taxation

Thought Leaders

Will the OECD eliminate corporate tax avoidance? We’ll see

Allan Lanthier analyzes the most sweeping overhaul of global tax rules in more than a century
Thought Leaders

Pandora Papers: “It’s time to pursue lawyers and accountants who enable tax evasion” – offshore tax expert Q&A

Professor Ronan Palan on the repercussions of the Pandora Papers
Practice

Canadian income tax - proposed First Home Savings Account

David J Rotfleisch on the Liberals' proposed tax favoured savings account
Profession

Sunday News Roundup 21.10.10: Pandora Papers, global tax deal, elephant tails, and more 

Wrapping up the odds and ends in this week’s Canadian accounting news
Thought Leaders

Paid millions to hide trillions: Pandora Papers expose financial crime enablers, too

Greater transparency and accountability is needed says University of Ottawa accounting professor Marc Tassé, CPA, CA
Practice

Dale et al. v the Queen – Timing on issue of shares in Section 85 rollover

Tax lawyer and accountant David J. Rotfleisch on a successful appeal of a Tax Court decision
Practice

Tax topics we're thinking about this fall

MaryAnne Loney of McLennan Ross LLP on opportunities and risks in the current tax landscape
Practice

Electing out of spousal rollover on death

Toronto Tax Lawyer and Accountant David J Rotfleisch explains when, with proper estate planning, it is possible to achieve a substantially better tax outcome
Practice

When will the Tax Court of Canada resume in-person sittings?

Some notable decisions recently announced from videoconference hearings
Profession

Friday News Roundup 21.09.03: Big Four jabs, CRA secrets, minimum taxes, wealth taxes and more 

Wrapping up the odds and ends in this week’s Canadian accounting news
Practice

Tax Clearance Certificates: Canadian Tax Lawyer Guidance

Tax clearance certificates can be beneficial but may also trigger scrutiny from the Canada Revenue Agency. Canadian tax lawyer and accountant David J Rotfleisch explains
Practice

Voluntary Disclosure Applications: Canadian Tax Lawyer's Guide

Canadian tax lawyer and accountant David Rotfleisch looks at a recent Federal Court ruling on voluntary disclosure (4053893 Canada Inc.)