Non-Canadian-Dollar Loans Involving FAs - Canadian Tax Foundation
However, they have also prompted taxpayers to review the implications of repaying and forgiving cross-border intercompany loans, whether upstream (to the .
deduction claimed in respect of loan relationship ... - [()] Square Eye
Sep 2, 2011 . series of inter-company transactions took place between MJP and Aegis. By 1. January . part of that loan allowed it to claim a deduction in its tax computation for the . to it by Aegis, in exchange for MJP writing off the debt .