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Change to Canada-US Tax Treaty affecting cross-border employees
- Miller Thomson LLP
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- Canada, USA
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- December 19 2011
Article XV(2) of the Canada-US Tax Treaty (the “Tax Treaty”) provides for an exemption from taxation of remuneration derived by an employee resident in a country (referred to herein as “residence state”) in respect of temporary employment exercised in the other country (referred to herein as the “source state”
