
Anu Nijhawan
Articles
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Feb 13, 2025 |
bennettjones.com | Melanie Aitken |Sabrina A. Bandali |Thomas A. Bauer |David Bursey |James Clare |Curtis Cusinato | +32 more
Bennett Jones has been recognized in the Chambers Global Guide 2025, with 49 lawyers ranked across 19 practice areas. Clients in Canada and around the world trust us to navigate their most complex legal matters. Our inclusion in the Chambers Global Guide 2025 highlights our commitment to an exceptional client experience, deep industry knowledge and long-standing client relationships.
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Dec 2, 2024 |
bennettjones.com | Anu Nijhawan
Bennett Jones congratulates Anu Nijhawan on her election as chair of the board of governors of the Canadian Tax Foundation (CTF). Her election is a testament to her leadership and accomplishments in the area of tax law, including as a trusted advisor on some of Canada’s largest and most complex transactions.
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Oct 17, 2024 |
bennettjones.com | David Gruber |Marshall Haughey |Greg Johnson |Kelsey Meyer |Anu Nijhawan |Michael S. Shakra | +2 more
We are pleased to announce that 10 Bennett Jones lawyers have been ranked in the Lexpert Special Edition: Restructuring and Insolvency 2024, reflecting our team's deep expertise in handling complex insolvency and restructuring cases. This issue highlights how companies in Canada can navigate the mounting economic pressures. Our ranked lawyers are: David E. Gruber Marshall R. Haughey Gregory M. Johnson Edwin G. Kroft Kelsey J. Meyer Darcy D. Moch Anu Nijhawan Michael S.
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Mar 7, 2024 |
mondaq.com | Jared Mackey |Anu Nijhawan
When Canadian multinationals issue discounted bonds, notes and similar obligations in a foreign currency, the tax consequences of repaying the debt are governed by subsections 39(2) and paragraph 20(1)(f) of the Income Tax Act (Canada).
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Feb 27, 2024 |
bennettjones.com | Jared Mackey |Anu Nijhawan
When Canadian multinationals issue discounted bonds, notes and similar obligations in a foreign currency, the tax consequences of repaying the debt are governed by subsections 39(2) and paragraph 20(1)(f) of the Income Tax Act (Canada).
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