| Law Firm: | Osler Hoskin & Harcourt LLP |
|---|---|
| Office: |
Osler, Hoskin & Harcourt LLP Box 50 1 First Canadian Place Suite 6100 M5X 1B8 |
| City: | Toronto |
| State: | Ontario |
| Country: | Canada |
| Tel: | +1 416 862 6441 |
| Fax: | +1 416 862 6666 |
| Email: | rtremblay@osler.com |
Richard G Tremblay is recommended in the following areas:
Multinational groups with Canadian subsidiaries are typically keen to adopt strategies to introduce leverage into their Canadian operations. The goal is to use deductible interest to reduce the Canadian subsidiary’s (‘Canco’) tax rate. Other considerations can also come into play. Foreign tax credit planning, for example, can mandate that funds be repatriated from Canada. This introduction is an overview of select Canadian tax considerations, relevant to a multinational group undertaking a financing transaction to introduce leverage into Canco.