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University of Georgia School of Law
Canadian; Canada; double taxation; tax; treaties; Minister; Internal Revenue Code; IRC; revenue; taxes; tax treaty; United States; investigation; liability; trade; investment; foreign; authorities; state; taxpayers;
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Full-Text Articles in Tax Law
Tax Treaties-Reciprocal Exchange Of Information-Summons Power Contained In Irc Section 7602 May Be Used To Obtain Information From Domestic Sources For Use By Canadian Authorities In Investigating The Canadian Tax Liability Of A Canadian Company, Tim J. Floyd
Georgia Journal of International & Comparative Law
No abstract provided.