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Searching Content indexed under Tax Treaties by Blaney McMurtry LLP ordered by Published Date Descending.
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Tax Filing Obligations For Non-Resident Canadian Partnerships
section 116 clearance certificate must be obtained by a non-resident vendor where there is a disposition of taxable Canadian property (TCP).
Canada
1 Aug 2019
2
Tax Issues Of Interest To The U.S. Person In Canada And Their Advisors
U.S. persons who are shareholders of Canadian corporations which are deemed controlled foreign corporations under the Internal Revenue Code will be subject to the transition tax as set out in section 965.
Canada
23 Jan 2019
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