A recap of the principal Candian Income Tax Act provisions applicable to the corporate foreign affiliates, w/ a tax treaty, a tax information exchange agreement, some CRA mututal agreed procedure material as some summary of transfer pricing issues. Meant to be a starting point from which to get more into detail since this is a more complicated area of tax law, statutorily, Also contains the author's, as observed and strategically partaken in as his own accountant, rendition of the criminl dirt-bag Yank Barry's 'world' of Apr'93-Aug'95. Have a laugh at another mere criminal to be imprisoned.(The BC alleged in court documents He had fled to Spain to avoid reing $5.1 million in loan guaranheld by several of his compaies. Lallouz denied this, saying he 2A3: since reimbursed the CIBC, - h had seized his million-dollar intreal home at 1725 Cedar *Aye. .... on time, and of dust mites, up to 15 st ata#39;s loss than *Then Revenue:Canada sh *::::: evade relentle Steam-Way, the ex our home so easilyanbsp;...
|Title||:||The Canadian Federal Income Taxation of Corporate Foreign Affiliates|
|Publisher||:||Lyndon Maither -|