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International Restructuring Newswire
Welcome to the Q2 2024 edition of the Norton Rose Fulbright International Restructuring Newswire.
Stay informed with our Indigenous law – 2018 Year in review. The report summarizes the latest developments in Indigenous law, organized by jurisdiction. These decisions reflect the most recent guidance from Canadian courts regarding the relationship between Aboriginal title claims and fee simple title, the duty to consult, and injunctive relief.
Knowledge of the current trends in Indigenous law and latest judicial commentary on the scope and content of the duty to consult will help project proponents formulate best practices to avoid projects being delayed as a result of judicial challenges citing insufficient consultation.
For more information regarding the cases included in the publication and how they might affect your business operations, contact one of our regional Indigenous law leaders.
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Welcome to the Q2 2024 edition of the Norton Rose Fulbright International Restructuring Newswire.
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The Canadian Federal Budget 2024 proposes to broaden the scope of certain powers allowing CRA to request information from taxpayers, and sets out new consequences for non-compliant taxpayers.
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The alternative minimum tax is an additional income tax imposed under the Income Tax Act on individuals and certain trusts who would otherwise be able to reduce their ordinary Canadian federal income tax through the use of certain deductions, exemptions or credits.
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