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Searching Content indexed under Withholding Tax by Osler, Hoskin & Harcourt LLP ordered by Published Date Descending.
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Impact Of Recent International Tax Developments On Canada
Recent international tax changes proposed by the OECD could significantly impact the cross-border activities of Canadians – particularly with respect to tax planning strategies that shift profits to low or no-tax jurisdictions.
Canada
5 Jul 2019
2
Update On Implementation Of The Multilateral Instrument In Canada
Canada signed the Multilateral Convention to Implement Tax Treaty Related Measures to Prevent Base Erosion and Profit Shifting [PDF] ― also known as the Multilateral Instrument or MLI
Canada
8 May 2019
3
Canada Proposes Changes To Withholding Tax On Dividend Equivalent Payments
The Canadian federal budget (Budget 2019) tabled on March 19, 2019 (Budget Day) contains important tax changes relevant to participants in the stock lending market
Canada
30 Apr 2019
4
Canada’s 2014 Budget Proposals On Back-To-Back Loans
The 2014 Canadian federal budget proposes to introduce to the Income Tax Act new anti-avoidance provisions regarding "back-to-back loans" that, where applicable, may affect the deductibility of interest and/or result in the imposition of Canadian withholding tax.
Canada
14 Feb 2014
5
Implications For Private Equity Funds Of Canada’s Budget 2014 Proposed Anti-Treaty-Shopping Measures
This Update concerns a measure proposed in Canada’s federal budget for 2014, tabled by the Minister of Finance on February 11, 2014, relating to treaty shopping that may affect private equity funds investing in Canada through treaty-based holding companies.
Canada
14 Feb 2014
6
Budget Briefing 2014
The Honourable Jim Flaherty, Minister of Finance, tabled Canada’s federal budget for 2014 on February 11, 2014.
Canada
13 Feb 2014
7
Further Revisions Proposed To Canada’s Foreign Affiliate Dumping Regime
The "foreign affiliate dumping" rules, which came into force in 2012, have had a significant impact on foreign-based multinationals with Canadian subsidiaries and on acquisitions by non-resident corporations of Canadian corporations that derive a significant portion of their value from foreign operations.
Canada
12 Sep 2013
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