In Kristen A. Parillo's article in Worldwide Tax Daily (2013 WTD 139-7), "Lessons on Double Taxation Under the Canada-U.S. Tax Treaty", Claire Kennedy discusses the Federal Court of Canada's May 29 decision in TeleTech Canada, Inc. v Minister of National Revenue, in which the Canadian taxpayer was unable to compel CRA to participate in Competent Authority negotiations with the US to relieve double tax in a transfer pricing matter stating "it's a cautionary tale for taxpayers that you can't expect to get effective procedural relief through the judicial review process on the basis of the larger equities in the case."
In The News
Claire Kennedy Discusses Transfer Pricing in Worldwide Tax Daily
January 2014
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