International tax law
The Group's has discusstions on :
- Changes of tax legislations in the particular countries
- Cross border tax planning ideas
- Transfer Pricing issues
- EU tax law
As a result of our group meetings and activities we would like to be able to facilitate the dissemination of current tax developments relevant to cross-border business activities and to demonstrate such tax expertise to the members of Eurojuris International, clients and potential clients in the following areas: Corporate Tax Planning
- Mergers and acquisitions
- Demergers and divestitures
- Reorganizations and restructurings
- Corporate loss utilization strategies
- Structured financing transactions
- Derivative products
- Resource taxation
- Mutual fund and pension fund planning
- Taxation of E-commerce transactions
- Tax matters relating to high tech industry
- Employee compensation arrangements
- Partnerships, joint ventures and trusts
International Tax Planning
- EU tax law
- Transfer pricing
- Structuring inbound and outbound investments
- Cross-border joint venturing
- Cross-border licensing, financing, holding and insurance structures
- Foreign affiliates, foreign investment entities and foreign reporting rules
- Non-resident withholding tax
Personal Tax Planning
- Transfer of assets and shares to a corporation (tax deferred rollovers)
- Post mortem tax planning
- Transfer of share ownership to employees, family members or other shareholders
- Income splitting and estate freezing
- Compensation of the owner-manager
- Tax deferred retirement plans
- Taxation of professionals
- Maximizing the capital gains exemption
- Shareholder buy-sell arrangements
- Charitable donations and private charitable foundations
- Emigration from and immigration to Canada
- Offshore and domestic trusts
Tax Litigation
- Submissions respecting proposed assessments
- Objections and appeals
- Voluntary disclosures
- Income tax audits and investigations
Commodity Taxation
- Energy and Fuel tax
- Customs duties and excise taxes
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Intellectual Content
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