This paper examines the tax treatment of intangibles in Canada and recent developments internationally. It suggests that the special features of intangibles and the rapid rise of intangibles as value-drivers in the global economy may render existing tax rules inadequate in defining Canada’s tax base and/or competing for investment in research and development in Canada. Recent developments at the international level (such as the BEPS Project) and national level (such as US 2018 tax reform and changes in Japan, UK and China to implement BEPS recommendations) may point to some directions for Canada to consider
The authors consider the new nomenclature of value creation in terms of its meaning, theoretical bas...
The second edition of International Taxation in Canada continues the journey of assisting the reader...
Tax planning with intangibles has become one of the most popular and most vividly debated topics in...
This paper examines the tax treatment of intangibles in Canada and recent developments international...
While transfer pricing has risen to the forefront of international tax issues in the last two decade...
The phenomenon of global fragmented production and associated trade in intermediate products, includ...
Multinational entities have many possibilities to utilise the global tax scheme by rearranging their...
Abstract: The creation, purchase and exploitation of intangible assets especially within multination...
The advent of information technology and digitalization has changed and continues to change everyday...
As international tax reform aims to ensure "taxation where value is created", it is crucial to ask q...
The United States’ Tax Cuts and Jobs Act of 2017 (TCJA) changed a 30-year-old definition of the term...
This book is in a series of Canadian Tax Foundation publications that is devoted to a comprehensive ...
Transnational corporations (TNCs) regard transfer pricing as the most important tax issue confrontin...
The first comprehensive book on Canadian international tax law, International Taxation in Canada – P...
The transfer of intellectual property from a higher-tax country where R&D takes place to a lower-tax...
The authors consider the new nomenclature of value creation in terms of its meaning, theoretical bas...
The second edition of International Taxation in Canada continues the journey of assisting the reader...
Tax planning with intangibles has become one of the most popular and most vividly debated topics in...
This paper examines the tax treatment of intangibles in Canada and recent developments international...
While transfer pricing has risen to the forefront of international tax issues in the last two decade...
The phenomenon of global fragmented production and associated trade in intermediate products, includ...
Multinational entities have many possibilities to utilise the global tax scheme by rearranging their...
Abstract: The creation, purchase and exploitation of intangible assets especially within multination...
The advent of information technology and digitalization has changed and continues to change everyday...
As international tax reform aims to ensure "taxation where value is created", it is crucial to ask q...
The United States’ Tax Cuts and Jobs Act of 2017 (TCJA) changed a 30-year-old definition of the term...
This book is in a series of Canadian Tax Foundation publications that is devoted to a comprehensive ...
Transnational corporations (TNCs) regard transfer pricing as the most important tax issue confrontin...
The first comprehensive book on Canadian international tax law, International Taxation in Canada – P...
The transfer of intellectual property from a higher-tax country where R&D takes place to a lower-tax...
The authors consider the new nomenclature of value creation in terms of its meaning, theoretical bas...
The second edition of International Taxation in Canada continues the journey of assisting the reader...
Tax planning with intangibles has become one of the most popular and most vividly debated topics in...