Michael McLaren – Featured Articles & Seminars
Paper: International Tax Planning – Subsection 247(3): What Are “Reasonable Efforts”? (co-authored with Michael Colborne and Mark Barbour), Canadian Tax Journal, (2016) 64:1, 229-43, Mar 2016
Paper: Canadian Legal Developments Impacting International Investment (co-authored with Michael Colborne and Tim Barrett), International Tax Review, Oct 2015
Paper: International Comparative Legal Guide to Corporate Tax – Canada (co-authored with Michael Colborne), ICLG to Corporate Tax 2016, Oct 2015
Paper: The International Comparative Legal Guide to Corporate Tax 2014: Canada Report (co-authored with Michael Colborne), Global Legal Group, Nov 2013
Paper: International Tax Developments: Canada Report (co-authored with Michael Colborne and Mark Barbour), International Tax Review, World Tax 2014 Guide, Oct 2013
Presentation: Recent Rulings and Administrative Developments, International Fiscal Association, Montreal, May 24 2013
Paper: International Tax Developments: Canada Report (co-authored with Michael Colborne and Mark Barbour), International Tax Review, World Tax 2013 Guide, Oct 2012
Paper: The International Comparative Legal Guide to Corporate Tax 2013: Canada Report (co-authored with Michael Colborne), Global Legal Group, Oct 2012
Report: 2012 Tax Transactional Survey, International Tax Review, Mar 1 2012
Paper: International Tax Developments: Canada Report (co-authored with Michael Colborne and Mark Barbour), International Tax Review, World Tax 2012 Guide, Dec 1 2011
Paper: The International Comparative Legal Guide to Corporate Tax 2012: Canada Report (co-authored with Michael Colborne), Global Legal Group, Oct 4 2011
Presentation: Working with Partnerships in a Cross Border Context, International Fiscal Association, Toronto, May 1 2011
Report: 2011 Tax Transactional Survey, International Tax Review, Mar 1 2011
Report: Canada’s treaty with India begins to pay off, International Tax Review, Feb 1 2011
Article: Payments Made in Takeover Not Deductible, Tax Court Says (co-authored with Michael Colborne), Tax Notes International, Tax Analysts (U.S.A.), Jan 24 2011
Paper: International Tax Developments: Canada Report (co-authored with Michael Colborne), International Tax Review, World Tax 2011 Guide, Dec 1 2010
Paper: International Tax Planning: Section 93 Elections-Proposed Amendments (co-authored with Michael Colborne), Canadian Tax Journal, vol. 58, no. 2, Aug 1 2010
Paper: Considerations in Relation to the 2010 Mexican Tax Reform, International Tax Planning, volume XV, No. 2, Dec 1 2009
Paper: International Tax Developments: Canada Report (co-authored with Michael Colborne), International Tax Review, World Tax 2010 Guide, Jul 31 2009
Presentation: Alternative Financing Methods: Silver Wheaton/Gold Wheaton Transactions (with M. Colborne), Canadian Mining Law and Finance Conference: Negotiating Complex Markets (Vancouver), Jun 1 2009
Materials: Canadian Income Tax Act with Regulations, Annotated 87th Edition, CCH Editorial Notes: International Tax Provisions, Apr 1 2009
Case Comment: Transfer Pricing-GlaxoSmithKline v. The Queen (co-authored with Michael Colborne), Canadian Tax Journal, vol. 56, no. 4, Mar 1 2009
Presentation: “Top Tips for Effectively Structuring an M&A Deal”, Canadian Institute Conference on Mergers & Acquisitions for the Mining Industry (Toronto), Dec 1 2008
Paper: International Tax Changes: Canada Report, (co-authored with Michael Colborne and Matthew Williams), International Tax Review, World Tax 2009 Guide, Oct 1 2008