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So I married an American ...
- Davis LLP
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- Canada, USA
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- February 27 2013
The good news is that it is definitely better than marrying an axe muderer, but there may be "issues"
BLG Monthly Update
- Borden Ladner Gervais LLP
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- Argentina, Australia, Canada, United Kingdom, USA
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- December 19 2012
The BLG Monthly Update is a digest of recent developments in the law which Neil Guthrie, our National Director of Research, thinks you will find
More on FATCA and more to come: the Internal Revenue Service and Treasury Department release proposed regulations
- McCarthy Tétrault LLP
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- Canada, USA
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- April 2 2012
In 2010, the United States amended the Internal Revenue Code of 1986 to add provisions relating to foreign account tax compliance (FATCA
Recent developments for the fourth quarter 2011
- Baker & McKenzie
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- Canada, China, Denmark, European Union, France, Germany, Ireland, Italy, Japan, Netherlands, Switzerland, United Kingdom, USA
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- March 15 2012
The end of the year and beginning of a new year is always a busy time for us, as it is for most of our clients
New disclosure requirements and added relief for U.S. taxpayers with undisclosed foreign assets
- Gowling Lafleur Henderson LLP
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- Canada, USA
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- March 9 2012
The U.S. government has recently embarked on an aggressive campaign to reduce international tax evasion by U.S. citizens or permanent residents with undisclosed income and assets located in foreign countries
U.S. FATCA creates potential compliance issues for Canadian financial institutions
- Stikeman Elliott LLP
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- Canada, USA
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- August 2 2011
Our insurance group colleague Stuart Carruthers recently authored an article regarding the potential compliance issues emanating from certain provisions of the U.S. Hiring Incentives to Restore Employment Act known as the Foreign Account Tax Compliance Act
IRS releases Revenue Procedure 2010-19 relating to Canadian emigrants
- Alston & Bird LLP
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- Canada, USA
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- April 15 2010
The IRS issued guidance for individuals who emigrate from Canada and who wish to make an election under the U.S.-Canada income tax treaty regarding Canadian departure tax (Revenue Procedure 2010-19
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