Compte tenu de la crise de la COVID-19 et des interruptions de déplacement décrétées par le Canada et d'autres juridictions ainsi que par les entreprises.
In light of the COVID-19 crisis and the travel restrictions implemented by Canada and many other jurisdictions as well as by businesses.
COVID-19 has, and will continue to, disrupt historical revenue and cash management of many multi-national corporate groups.
Torkin Manes LLP
COVID-19 has resulted in Canada and other governments around the world imposing restrictions on international travel ("Travel Restrictions").
Davies Ward Phillips & Vineberg
The COVID-19 pandemic has resulted in the imposition of safety measures by governments around the world, including that in Canada, to protect the health of their citizens.
Davies Ward Phillips & Vineberg
NAFTA, the first multilateral free trade agreement between the United States, Mexico and Canada, became effective on January 1, 1994.
Aird & Berlis LLP
On May 19, 2020, the Canada Revenue Agency (the "CRA") released guidance respecting potential unexpected tax residency consequences resulting from the travel restrictions around COVID‑19.
Blake, Cassels & Graydon LLP
The COVID-19 crisis has led to travel restrictions that have required many people to work remotely, and sometimes to remain in jurisdictions other than those in which...
The popularity of the Multilateral Instrument Convention (MLI) is on the rise but few have understood and even less have seen its effect which has been argued to be a milestone in the history
The Republic of Cyprus has established itself as one of the most attractive jurisdiction within the EU and globally for holding companies.
Elias Neocleous & Co LLC
On January 22 2020 the instrument of ratification of the Multilateral Convention to Implement Tax Treaty Related Matters (MLI), and the Cyprus position on the minimum standards of the MLI and...
UK Nationals residing in Cyprus and receiving a pension from the UK have benefited by the original Double Tax Treaty signed between Cyprus and the UK in 1974 and amended in 1980...
L'épidémie de Covid-19 a entraîné des perturbations importantes des opérations commerciales et des déplacements internationaux. La loi prorogeant l'état d'urgence sanitaire et complétant ses dispositions...
On 20th March 2020, the Income Tax (Amendment) Bill 2020 was passed, giving Gibraltar domestic effect to the double tax treaty, and the protocol to that treaty, that were signed by...
This follows on from the UK, who ratified the treaty under UK domestic law on 16th March 2020.
The main purpose of the Treaty is to eliminate double taxation between residents in Gibraltar and/or the United Kingdom in respect to taxes of income and gains.
Khaitan & Co
The Supreme Court of India in Union of India & Anr v UAE Exchange Centre, held that the liaison office set up by UAE Exchange Centre LLC in India does not constitute its permanent establishment in India.
Hon'ble Finance Minister, in her budget speech had proposed to abolish the much-abhorred dividend distribution tax "DDT" on companies/mutual fund.
Businesses are currently dealing with a multitude of issues as a result of the measures taken to stop the global spread of the COVID-19.
DNV & Co
Over the past few years India has emerged as one of the fastest developing country and has witnessed upsurge in the economic activities on the back of significant influx of foreign investments coupled with technological collaborations.