Protocol to Canada- France DTA enters into force

06 January, 2014

The Protocol amending the Canada-France DTA signed on 2 February 2010 entered into force on 27 December

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France-Canada DTA protocol approved

30 December, 2013

In accordance with initial media reports, France's lower house of parliament approved the protocol to the Double Tax Agreement signed with Canada on December 23,

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Protocol to Canada-Barbados ITT entered into force

24 December, 2013

A Protocol amending the Canada-Barbados income tax treaty entered into force on December 17,  2013. This treaty was signed the protocol on November 2011. The Protocol, following OECD style exchange of information language, includes some significant

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Canada- Compliance issues regarding indirect tax during 2013-14

24 December, 2013

Many businesses will soon have to consider current changes to the GST/HST to fulfill upcoming tax compliance deadlines such as filing returns, making elections, and remitting indirect taxes though those give taxable profits or pension plans to their

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Ratification of New Zealand-Canada Multilateral Tax Convention

18 December, 2013

The Multilateral Tax Convention will be entered into force from March 1, 2014 for New Zealand from March 1, 2014 and it qualifies signatories to exchange tax information, and New Zealand's Inland Revenue will be able to find assistance in collecting

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Canada – Venture Capital Tax Credit has phased out

17 December, 2013

The Canadian Government is negotiating on a series of draft legislative proposals for the orderly phase-out of the federal Labor-Sponsored Venture Capital Corporations (LSVCC) tax credit. LSVCCs are a type of mutual fund corporation, sponsored by

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Canada has perfectly managed Liechtenstein’s tax information

17 December, 2013

The Canada Revenue Agency (CRA) managing this data was reviewed as part of the Auditor General's fall 2013 report. The office has examined whether the agency perfectly conducted compliance activities for those listed under the Liechtenstein bank,

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Canada: Legislation sanctioning Manitoba’s 2013 budget

11 December, 2013

By enacting legislation Manitoba’s 2013 budget evaluates took Royal Assent on December 5, 2013. The budget belonging tax measures provisions that: Corporate capital tax rate on financial institutions has to be increased from 4% to 5%; The

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Canada- Hong Kong tax treaty for avoiding double taxation enters into force

11 December, 2013

The agreement between Canada and the Hong Kong Special Administrative Region of the People’s Republic of China due to avoid of double taxation and prevent of fiscal evasion has entered into force on October 29, 2013. According to article 27 of the

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Canada-Luxembourg: DTC Protocol Entry into force

10 December, 2013

The Protocol amending the double taxation Convention between Canada and Luxembourg has entered into force on December 10, 2013 and was actually signed on May 8,

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Canada -Partnership information return for 2013

09 December, 2013

The Canadian Revenue Agency (CRA) has issued revised guidance for partnership information returns (Guide T4068), Guide for the Partnership Information Return (T5013 Forms) for the year 2013.  The Guide T4068 contains changes to the forms, schedules

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Canada – Making Declaration of proposed tax changes in Ontario

09 December, 2013

The Finance Ministry in Ontario has declared proposed measures to increase the tax rate on “non-eligible dividends” of up to 3.9% which was effective from January 1, 2014. Other proposed measures would include: Certain research and development

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Canada will balance budget in 2015 without raising taxes

09 December, 2013

The Finance Minister of Canada released economic and fiscal projections annual update on that reports that the government is on the right track to balance the budget in 2015 without raising taxes. The government desires to balance the budget without

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Canada-Serbia DTA enters into Force

08 December, 2013

The revenue agency declared that the Double Taxation Agreement (DTA) between Canada and Serbia has entered into force on October 31, 2013 and it was actually signed on April 27, 2012. On the basis of this agreement, a 5% tax withheld will be levied

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Canada ratifies MIDT

08 December, 2013

The Government of Canada has ratified the Convention that was initiated for signature in 1965, and entered into force the following year on the adjustment of Investment Disputes between States and Nationals of Other States. According to

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Canada –New Form due to research expenses

08 December, 2013

The Revenue Agency of Canada has released a revised version of Form T661 naming Scientific Research and Experimental Development (SR&ED) Expenditures Claim. The legislative changes proposed in the 2013 and 2012 federal budgets are addressed in

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Canada – Interest-free loans and Interest rates on family loans for 2014

08 December, 2013

The Revenue Agency of Canada have declared that the formal income tax interest rates in respect of taxable benefits, overpaid taxes, and underpaid taxes will all deduct by 1% as of January 1, 2014. The prescribed rate that uses to taxable credits

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Canada: Deduction of R&D tax credit rate starting from 2014

05 December, 2013

The normal rate for tax credits under the federal government’s scientific research and experimental development (SR&ED) program will be deducted from 20% to 15% starting in 2014. For claiming SR&ED tax credits during 2014, Companies

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