Boidman, N
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The person Boidman, N represents an individual (alive, dead, undead, or fictional) associated with resources found in International Bureau of Fiscal Documentation.
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Boidman, N
Resource Information
The person Boidman, N represents an individual (alive, dead, undead, or fictional) associated with resources found in International Bureau of Fiscal Documentation.
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- Boidman, N
155 Items by the Person Boidman, N
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- A cross-border view
- A cross-border view : the Section 482 White Paper and Canada- U.S. transactions
- A cross-border view. Cross-border death taxes - H.E. 4333: an update
- Advance pricing agreements in Canada
- An analysis of the Canada-U.S. Income Tax Treaty Protocol
- An offshore transshipment company case : Indalex v. The Queen
- Application of set-offs in transfer pricing disputes : Canada
- Applying Canadian Residency Rules to Americans - Stephens v. M.N. R
- Article XIII(8) of the Canada-U.S. Convention: New Section 115.1
- BEPS : a spent force or radical change?
- BEPS : the OECD discovers America?
- BEPS and acquisitions of Canadian targets
- BEPS on hybrids : a Canadian perspective
- Beneficiaries of the Canada-Hong Kong double taxation agreement
- Branch Profit Tax Regulations - Effect on Canadian Corporations
- CIT : foreign banks and Canada's CFC system
- Can a treaty overrride domestic backup withholding rules? The Canadian decision in RCI
- Can an efficient transfer pricing strategy be developed under Canadian law?
- Canada - U.S. tax practice. A Crossborder view. Cross-border software licensing arrangements
- Canada - U.S. tax practice. A cross-border view. Rev. Rul. 91-32 and the U.S.-Canada treaty; Canadian treaty developments - in the U.S. context
- Canada Revenue Agency to challenge treaty exemption on stock option compensation
- Canada agrees bilateral APAs and finalizes new procedures
- Canada enacts multilateral instrument : what happens next?
- Canada finalizes international tax proposals : an update on conduit, tracking, and foreign affiliate rules
- Canada releases final administrative views (IC-87-2R) on transfer pricing
- Canada retreats from its controversial passive reinvestment proposals
- Canada takes first BEPS steps
- Canada targets conduits and tracking shares
- Canada to revamp regime to set things right
- Canada to set 'phantom income' tax element on offshore fund investments
- Canada's limited approach to the OECD's multilateral instrument
- Canada's new open door policy towards foreign equity investors in a comparative 33 country context
- Canada's radical proposals to tax foreign investment structures
- Canada's transfer pricing proposals of 11 September 1997
- Canada's two-faced TIEAs - Netherlands Antilles trumps Bermuda
- Canada-U.S. Intercompany Pricing Update
- Canada-U.S. tax practice. A cross border view. Canadian perspective on IRS proposal for intercompany rulings
- Canada-U.S. tax practice. A cross border view. Canadian tax proposals - cross border effects
- Canada-U.S. treaty protocol : brief overview
- Canada-US tax practice : a cross-border view : Canadian perspective on the Final Section 482 Regulations
- Canada-US tax practice. A cross-border view. The proposed US withholding regulations: impact on Canada-US investment
- Canada: Supreme Court interprets Canada-Germany tax treaty : (Melford Developments Inc. v. Her Majesty The Queen)
- Canadian Appeal Court narrows foreign affiliate antiavoidance rule in Lehigh
- Canadian Budget - Cross-Border Implications
- Canadian Supreme Court endorses "sophisticated" corporate tax planning but the statutory anti-avoidance rule is not involved
- Canadian Supreme Court's message on tax avoidance transcends Canada
- Canadian Tax Reform - Finalized
- Canadian Tax Reform Update: House Finance Committee Recommendations
- Canadian appeals court upholds Loblaw's offshore bank structure
- Canadian approach to treaty shopping
- Canadian perspective on 1993 U.S. transfer pricing proposals
- Canadian proposals threaten foreign controlled Canadian companies
- Canadian taxation of foreign service providers : treaty issues and court decisions
- Canadian taxation of inbound electronic commerce. (Part 1)
- Canadian thin capitalization proposals curtail inbound real estate planning
- Canadian transfer pricing decision in Marzen : points of interest
- Canadian trust controversies : implications for foreign investors or acquirers
- Canadian trust controversies : update for foreign investors or acquirers
- Canadian-American tax issues - cross-border commentary : Cross-border death taxes : current issues and developments - Part I
- Canadian-American tax issues : cross-border commentary : intercompany pricing issues and developments
- Concerns voiced about Canada's proposed US style APA system
- Controversies in Canada respecting the taxation of non-competition and related payments
- Corporate ownership of United States homes - imputed income of benefit ?
- Corporate taxation in Canada : a cross-border perspective
- Current issues under the Canada-United States income tax treaty - a ten-year perspective
- Distributions of USRPIs by Canadian Owned U.S. Corporations
- Does time alone create a permanent establishment? The courts and Revenue Canada go their separate ways
- E-commerce taxation in Canada : the long shadow of the decision in Saint John Shipbuilding
- Effect of Bollinger on Canadians using Pret-Nom corporations
- Evaluating Canada's attempt to reconcile general transfer pricing rules and specific antiabuse provisions
- Expected adverse effects of proposed U.S. anti-hybrid regulations on inbound financing by Canadian MNEs
- Fifth protocol to the Canada-United States tax treaty
- Fiscal anarchy : the Canadian corporate butterfly (and foreign shareholders)
- Foreign entity classification and the meaning of "corporation" / "société" in the Income Tax Act
- Foreign investments in and acquisitions of publicly-traded Canadian flow-through entities : impact of recent controversies and proposed changes
- Forthcoming reform of Canada's international tax law?
- H.R. 4208 may tax Canadian shareholders of U.S. companies
- H.R. 4343 Exacerbates Death Tax Issues for Canadians
- How are multinationals faring under Canada's incomplete international tax reform?
- How is BEPS reflected in Canada's newest treaties?
- How will revised sourcing rules affect sales of U.S.-made goods abroad?
- How will the OECD's latest financing-related guidance on cash boxes play in Canada?
- Impact of the new regulations under Code Section 367 on U.S. investment in Canada
- Interaction between sale of goods and use of trade marks under cross-border distributorship agreements : Canada
- Intercompany pricing. Irving Oil case
- Intercompany transfer pricing
- Interest deductibility in Canada : what's the fuss?
- Interest-free loans and intercompany pricing : Canada
- International mergers and acquisitions : a forum for discussion | Unwinding sandwich structures from the standpoint of the country of acquirer (or surviving merger party) - Part I
- International tax avoidance : the impact on legal systems
- International transfer pricing and other international transactions
- Interpretation of tax treaties in Canada
- Interpreting Canada's income tax treaties : (incorporating an analysis of the interpretation of taxation law in Canada)
- Interpreting the former Canada-U.S. Treaty - Scott v. M.N.R., 88 DTC 6072
- Is corporate tax abolition unrealistic?
- Is the Nova Scotia unlimited liability company dead?
- Judicial and legislative developments threaten indirect Canadian acquisitions
- More tempests in the U.S.-Canada (tax) tea pot
- New TIEAs extend the playing field for Canada's multinational enterprises
- Nonresident investment in Canadian real estate
- Note re FIRPTA regulations
- Note recaptive insurance Canadian style
- Planning for investment in Canadian real estate by nonresidents
- Pricing Canada-U.S. guarantees after GE Capital : still evolving
- Private equity international acquisitions : a paradigm shift?
- Proposals to extend Canadian taxation of foreign investments and foreign trusts
- Proposed Legislation Affects Liquidations of Canadian-Owned U.S. Subsidiaries
- Proposed U.S. regs narrow GILTI exposure on Canadian CFC operations
- Quebec proposes North America's first IP box
- Recent and proposed changes to Canada's system for taxing foreign operations
- Reducing barriers to foreign investment in Canada?
- Reform of Canada's international tax law commences
- Reform of taxation of Canadian business?
- Reforming Canada's international tax : an interim report
- Reforming Canada's international tax regime : final recommandations, Part 2
- Reforming Canada's international tax regime : final recommendations, Part 1
- Related party transactions: Canada's new administrative guidelines compared to IRS para 482 and OECD guidelines
- Reorganizing Canadian investments in U.S. real estate : proposed FIRPTA regulations
- Revenue Canada Penalized for not assisting taxpayer: Chhabra v. The Queen, 88 DTC 6015
- Revenue Canada issues draft transfer pricing agreement circular for intercompany transactions
- Revenue Canada issues new intercompany pricing reporting form
- Revised Canada-U.S. treaty protocol: an overview
- Revised loan proposals would hit both Canadian and foreign-based multinationals : a startling about-face
- Some current issues with treaty tax-sparing provisions
- Structuring investments and business start-ups in Canada
- Tax court of Canada shaves benefits of hybrid entity financing structure
- Tax developments of interest to US tax advisers
- Tax evasion : the present state of non-compliance
- Taxation in Canada : implications for foreign investment
- Taxation of U.S. investment in Canadian real estate
- The 1995 Canada-U.S. treaty protocol: some reflections and commentary
- The BEPS deliverables : a macro critique
- The Canadian approach to offshore international transactions: Indalex v. The Queen - a transshipment case
- The Canadian approach to offshore. International transactions: an update
- The Canadian decision in RCI Trust and treaty residence
- The Tax Court of Canada strikes offshore bank in Loblaw
- The Tax Cuts and Jobs Act : Canada-U.S. comparative for multinational enterprises
- The Tax Cuts and Jobs Act : Canada-U.S. comparative for private businesses and individuals
- The U.S.'s illusionary turn to terroriality
- The Univar appeal : a pyrrhic victory for indirect acquisitions in Canada
- The effect of the APA and other U.S. transfer pricing initiatives in Canada and other countries
- The foreign affiliated system : Canadian taxation after 1982 : a structured overview
- The impact on Canada-U.S. business of diverging corporate tax rates
- The new U.S. residency rules for Canadians : tax considerations
- The peripatetic alien : his/her tax problems in the United States and abroad
- The proposed U.S.-Netherlands protocol - in general and its implications for Canadian multinationals
- The relevance of the BEPS Project to Canada and the United States
- The section 482 White Paper - a Canadian perspective
- Transfer pricing : current Canadian perspective
- Transfer pricing issues : a critical discussion of the Revenue Draft Information Circular
- Transfers of Article XIII(9) property under new FIRPTA regulations
- U.S. Super Royal Rule in the Canadian context : Part I
- U.S. inversions and earnings stripping initiatives : a forum for international commentary (part 1 of 5) | Inversions, earnings stripping - thin capitalization and related matters : an international perspective (part 1)
- Unexpected Canadian private company tax proposals : a critique and international comparative
- Update on Transfer Pricing: Indalex v. the Queen
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<div class="citation" vocab="http://schema.org/"><i class="fa fa-external-link-square fa-fw"></i> Data from <span resource="http://link.library.ibfd.org/resource/ELyJi5Ld-38/" typeof="Person http://bibfra.me/vocab/lite/Person"><span property="name http://bibfra.me/vocab/lite/label"><a href="http://link.library.ibfd.org/resource/ELyJi5Ld-38/">Boidman, N</a></span> - <span property="potentialAction" typeOf="OrganizeAction"><span property="agent" typeof="LibrarySystem http://library.link/vocab/LibrarySystem" resource="http://link.library.ibfd.org/"><span property="name http://bibfra.me/vocab/lite/label"><a property="url" href="http://link.library.ibfd.org/">International Bureau of Fiscal Documentation</a></span></span></span></span></div>