Traditional case law search is highly inefficient . But there is a better solution that saves time and stress. Clio’s 2021 Legal Trends Report
Lawyers are missing out on big billable hours across the board. Adopting the right tools can help but few are quick to adapt.
With increasing accountant burnout and turnover, new technologies provide way for accounting firms to adapt and hold onto their associates.
There are 4 competitive of advantages to AI in tax research and analysis. With AI you'll be able to provide better client service amidst changing laws.
Benjamin Alarie is among the Top 50 Changemakers 2022. Learn about his predictive platform, Blue J, that's transforming the practice of law.
Learn about the GST/HST implications of cryptocurrency transactions in Canada. Find out which transactions are exempt and how to determine their value.
The joint development of a first-of-its-kind suite of artificial intelligence (AI) tax analysis tools for the UK has been announced by KPMG UK and Blue J.
Blue J Diagramming is a diagramming solution built by tax professionals, for tax professionals. Create the types of entity-and-relationship diagrams you need
How to distinguish between income from transactions undertaken as a hobby or in the course of a business, and between different kinds of activities.
Sifting through hundreds of irrelevant cases is time-consuming and there’s still the very real risk that you’ll miss the relevant material you’re looking for.
Two takeaways on determining whether parties are dealing at arm’s length (Damis Properties Inc. v. The Queen).
On June 7, 2021 the Ontario Superior Court of Justice released its second decision in a matter of months interpreting Ontario Regulation 228/20
The Canada Revenue Agency (CRA) has indicated that it will not be extending its guidance concerning the impact of travel restrictions on corporate residency determinations. In 2020, the CRA issued guidance concerning international income tax issues in light of COVID-19 travel restrictions. The guidance indicated that, as of March 16, 2020, when determining cases of potential dual corporate residency, the CRA will not consider a corporation to have its place of effective management in Canada solely for the reason that a director of a corporation must participate in board meetings from Canada because of travel restrictions.
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