No. 9-1, March 2018
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Index
- Editorial
- ‘Foreign dividend’ and ‘foreign return of capital’ : a home-grown solution to their proper interpretation in section 1 of the Income Tax Act
- Award of trust beneficiary interests to qualifying employees : application of section 8C
- Period for lodging an appeal to the Tax Court : a trap for the unwary
Navigation index
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- Business Tax and Company Law Quarterly
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