Blue J is excited to announce that Tax Foresight and Employment Foresight are now available in French.
Blue J Tax correctly predicted that the taxpayer would not be entitled to use the due diligence defence in Ahmar v. Canada.
Lisa Stam of SpringLaw
We interviewed Alix Lapkovsky, as part of a series of deskside chats with top Associates at American firms leading the way in innovation.
23% of large law firms surveyed in a recent report by Thomson Reuters said that they had lost expected client business to one of the Big Four.
Benjamin Alarie, CEO and Co-founder of Blue J Legal, speaks in Globe and Mail's Industry Interrupted on the impact of AI in the legal world.
Learn about the considerations relating to the classification of gain or loss from the disposition of real estate other than a taxpayer’s principal residence.
A webinar that explores determination of a business vs. property, as applied in the AI-powered tax outcome prediction software, Tax Foresight.
Does an intermediary service constitute arranging for a financial service, such that it is an exempt or zero-rated supply for GST/HST purposes?
Is the central management and control of a corporation in Canada such that the corporation will be considered a resident in Canada for tax purposes?
Are expenses related to work space in the home deductible from income for tax purposes? Our tax classifier clarifies any ambiguity around working from home.
Does a United States resident have a permanent establishment in Canada pursuant to paragraph 1 or paragraph 5 of Article V of the Canada-US Tax Treaty?
Does a transaction including different elements consist of a single supply or multiple supplies under the Excise Tax Act (ETA)? Find out in this webinar.
Are gains from trading in securities taxable as income from business or as capital gains? Our AI-powered software helps you answer this question.
Is a worker an employee or an independent contractor for tax purposes? Learn about employee and worker classifications with Tax Foresight.
Whether you are working on mergers and acquisitions or asset arrangements to optimize tax scenarios, professional diagrams are valuable communication tools.
Type “D” Reorganizations with helpful tips & standard and Rev. Rul. 70-240 diagrams. Non-divisive “D” reorgs are the focus. IRC § 368(a)(1)(D) also discussed.
This infographic guide serves as a reference to the common corporate diagram shapes and conventions that exist, and when they would be used.
With Blue J Folios, find structure charts, IRS guidance, cases, relevant statutes, and more on a number of legal topics - with a click.
Look at the five strategies you can adopt today to build client-ready diagrams faster (and better) than ever before. Reduce hours of work to minutes
For students in the area of tax law, poring over tax code, regulations, and IRS guidance and keeping up with changing laws may not be a thrilling prospect.
This month in our Blue J Predicts column we examine the deduction of legal and litigation expenses in the context of the generic drug industry.
Drive efficiency with Blue J's Quick Start templates for structure chart diagramming. Pre-built for easy customization by practitioners. Save 49 hours a month
BMSS and Blue J partner to improve client deliverables in tax research & diagramming using advanced AI and intelligent diagram tech.
7 tax leaders share how they boost their team's efficiency with the right tools - cutting down on non-billable work and turnaround times.
With Blue J, Dr. Valrie Chambers, Associate Professor of Tax and Accounting, prepares students for the future of tax. Here's how.
Get started with this Type B Reorganization guide and a Rev. Rul. 79-4 diagram example. Find helpful examples and tips with this downloadable PDF.
Get started with this Double Dummy Structure guide. We reference IRC § 368(c), IRC § 351 and other relevant Code provisions
Get started with Type A reorganizations using this guide. Includes Type A reorganization structure examples and tips...
To better understand cases around financial recordkeeping, we use the Blue J Predictor to examine the recent Tax Court decision in Skolnick.
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