Lexpert US Guides

Litigation 2016

The Lexpert Guides to the Leading US/Canada Cross-Border Corporate and Litigation Lawyers in Canada profiles leading business lawyers and features articles for attorneys and in-house counsel in the US about business law issues in Canada.

Issue link: https://digital.carswellmedia.com/i/752493

Contents of this Issue

Navigation

Page 55 of 99

56 | LEXPERT December 2016 | www.lexpert.ca CORPORATE TAX Schwartz, Alan M., QC, Fasken Martineau DuMoulin LLP Toronto - (416) 865-4432 aschwartz@fasken.com - Alan M. Schwartz's tax practice involves advising on corporate transactions such as acquisitions, corporate reorganizations, prospectus disclosure and the establishment of investment vehicles. He has pleaded cases in tax courts at all levels and been involved in leading cases on the general anti-avoidance rule, the existence of a separate business, partnership reorganizations, asset classification and residence of trusts and employment benefits, including the case of Savage v. e Queen, which was decided in favor of the taxpayer by the Supreme Court of Canada. Schwartz is the Founder and Editor-in-chief of the Carswell Tax Service GAAR Interpreted, a leading publication on the general anti-avoidance rule. He is a member of the In- ternational Fiscal Association and the Toronto Senior Tax Practitioners Study Group. Schwartz is frequently recognized by the world's leading legal publications for his tax law expertise. He was called to the Ontario Bar in 1970. Williams, Matthew G., Thorsteinssons LLP Toronto - (416) 864-0829 - mgwilliams@thor.ca Matthew Williams leads the firm's Toronto tax litigation group. Williams has extensive experience in domestic and international matters with particular focus on the application of Canada's tax treaties and general anti- avoidance rule. Williams has been involved in a number of landmark Canadian tax cases and has been widely recognized as a leader in tax dispute resolution. Williams has appeared before all levels of court in Canada, including the Supreme Court of Canada. Williams's clients include private-equity funds, multi-national cor- porations, trust companies and high net worth individuals. Williams is an editor of Tax Litigation Quarterly and is a member of the Canadian Bar Association, Canadian Tax Foundation, e Advocates' Society, and Rocky Mineral Law Foundation. Williams has been recognized as a leading tax dispute resolution lawyer by the International Tax Review, was recently named among e Best Lawyers in Canada by Best Lawyers Inter- national, has been peer rated by Martindale-Hubbell as a Preeminent Lawyer, and is recognized by Chambers & Partners in its 2016 Chambers Canada Guide. Boddez, Thomas M., Thorsteinssons LLP Vancouver - (604) 689-1261 - tmboddez@thor.ca Tom Boddez is a partner of orsteinssons LLP. He has served as the Managing Partner and also as a Gover- nor of the Canadian Tax Foundation. Boddez is a member of the orsteinssons tax litigation group and is regularly recognized as one of Canada's leaders in the field of tax controversies. Boddez's civil litigation prac- tice includes representation of taxpayers in the audit and appeal processes with the Canada Revenue Agency, as well as appeals heard by the Tax Court of Canada, Federal Court, provincial superior courts, the Federal Court of Appeal and the Supreme Court of Canada. Boddez also has extensive experience in the area of tax evasion investigations, trials and appeals. He has successfully negotiated favorable settlements in the majority of cases handled each year. Corporate Tax

Articles in this issue

Links on this page

Archives of this issue

view archives of Lexpert US Guides - Litigation 2016