International Cross Border Tax Advice and Planning in Downtown Toronto

If your life, business, or investments cross borders, you need International Cross Border Tax Advice and Planning in Downtown Toronto that is precise, proactive, and defensible. At Toronto Tax Consulting, we deliver International Cross Border Tax Advice and Planning in Downtown Toronto that coordinates Canada–U.S.–Europe–Asia rules, aligns treaty relief with your goals, and anticipates what CRA/IRS/EU/Asian authorities will scrutinize—before they ask.

Call: (416) 628-7824 Ext. 2 | Email: info@torontotaxconsulting.com
Downtown & Midtown Offices:
1 Dundas St W, Suite 2500 (Yonge & Dundas) • 401 Bay St, Suite 1600 (Bay & Queen)
2 Bloor St W, Suite 700 (Yonge & Bloor) • 2 St. Clair Ave W, 18th Floor (Yonge & St. Clair)


International Cross Border Tax Advice and Planning in Downtown Toronto

International Cross Border Tax Advice and Planning in Downtown Toronto


Why Toronto Tax Consulting for International Cross Border Tax Advice and Planning in Downtown Toronto

We are a boutique practice dedicated to International Cross Border Tax Advice and Planning in Downtown Toronto, led by Julian Das (LLM in International Tax Law; B.Comm Accounting & Tax; B.Comm Finance). For 20+ years, our team has guided clients through CRA, IRS, EU, and Asia-Pacific frameworks—balancing residency, source rules, corporate structures, treaties, foreign tax credits, information reporting, and audit defense. Our approach to International Cross Border Tax Advice and Planning in Downtown Toronto is lawyer-style in rigor, practical in execution, and built to stand up to compliance review.

Areas we practice

International tax advisor Downtown Toronto, Cross-border tax planning Toronto, Non-resident tax Toronto, US tax Toronto, Expat tax services Toronto, Global mobility tax Toronto, Treaty tie-breaker Toronto, Foreign income tax Toronto, Multinational tax planning Toronto, Dual citizenship tax Toronto, Transfer pricing Toronto, CRA audit representation, IRS voluntary disclosure, T1135 foreign reporting, FBAR and FATCA Toronto.


Who We Serve (International Cross Border Tax Advice and Planning in Downtown Toronto)

Individuals & Families (Canada–U.S.–EU–Asia): Expats, digital nomads, dual citizens/green card holders, commuters, remote workers, executives on assignment, investors with foreign property and portfolios.

Owner-Managed & Mid-Market Businesses: Canadian companies expanding abroad, foreign companies entering Canada, e-commerce, SaaS, professional firms, agencies, import/export, and startups.

Trusts, Estates & Family Offices: Cross-border trusts, secondary wills, probate across jurisdictions, succession planning, charitable vehicles, and corporate executors.

Real Estate Investors & Developers: Canadian and foreign owners of Canadian or offshore property (purchase, rent, sale, withholding, clearance certificates, NR4/NR6/T2062, FIRPTA/1445).

We provide International Cross Border Tax Advice and Planning in Downtown Toronto that scales with complexity and ties every decision back to residency, sourcing, treaties, information returns, and defensible documentation.


Who We Are (International Cross Border Tax Advice and Planning in Downtown Toronto)

Toronto Tax Consulting is a Downtown-based independent advisory firm focused on International Cross Border Tax Advice and Planning in Downtown Toronto.

  • Credentials: LLM (International Tax), advanced preparation programs, quality control certifications, and decades of cross-border experience.
  • Coverage: Canada, U.S., EU, U.K., EEA, Switzerland, and Asia-Pacific.
  • Method: Diagnose → Plan → Implement → Defend. Every international plan ties to specific legislation, forms, and treaty articles, reflecting our commitment to International Cross Border Tax Advice and Planning in Downtown Toronto that survives audit.

What We Do (Extensive Services) — International Cross Border Tax Advice and Planning in Downtown Toronto

Residency, Treaty & Mobility

  • Tax residency determinations (factual ties, day counts, center of vital interests) and treaty tie-breaker analysis for International Cross Border Tax Advice and Planning in Downtown Toronto.
  • Immigration/emigration planning (departure tax deemed dispositions; deemed/acquired residency; elective residency provisions; social security totalization).
  • Global mobility (secondments, remote work, commuters, days-in-country tracking, payroll alignment, shadow payrolls).

Individuals & Families (Canada–U.S.–EU–Asia)

  • Foreign income (employment, RSUs/options, pensions, rents, interest/dividends, crypto) with foreign tax credit optimization and PFIC/GILTI mitigation as part of International Cross Border Tax Advice and Planning in Downtown Toronto.
  • U.S. citizens/green cards in Canada: 1040 vs 1040-NR, FBAR, FATCA (Form 8938), Form 8621 (PFIC), 5471/8865/8858, 3520/3520-A (foreign trusts).
  • Information reporting: T1135 specified foreign property; NR forms; treaty disclosures.

Businesses & Corporate Structures

  • Inbound/outbound structures to manage permanent establishment (PE) risk; transfer pricing policies; withholding tax relief; VAT/GST/HST design; intercompany agreements; and hybrid mismatch consideration—key to International Cross Border Tax Advice and Planning in Downtown Toronto.
  • U.S. tax for Canadians: LLC/LP/S-Corp/C-Corp selection, GILTI/SUBI planning, FDII/BEAT awareness.
  • EU & Asia: establishment vs. agent/commissionaire, VAT/OSS/IOSS, digital services taxes, electronic invoicing.

Real Estate (Canada, U.S., EU, Asia)

  • Acquisition & holding structures, rental operations, withholding registrations (NR6/NR4; U.S. W-8/ECI/FIRPTA), T2062/T2062A clearance on Canadian dispositions, Form 8288 (FIRPTA).
  • Principal residence vs. rental conversions, CCA/recapture, subsection 45(2) elections.
  • Treaty rates on rents/gains and compliance aligned to International Cross Border Tax Advice and Planning in Downtown Toronto.

Trusts, Estates & Private Clients

  • Dual-will strategies, cross-border probate, corporate executors, foreign grantor/non-grantor trusts, and distributions to Canadian/U.S. beneficiaries.
  • Estate/gift/inheritance coordination (Canada, U.S., U.K., EU, select Asia), deemed disposition on death, and return filings in multiple jurisdictions.

Controversy, Disputes & Voluntary Corrections

  • CRA/IRS/EU audits: responses, appeals, penalty abatement, interest relief (taxpayer relief), voluntary disclosures (late T1135/FBAR/FATCA), and treaty competent authority processes—delivered via International Cross Border Tax Advice and Planning in Downtown Toronto.

What Clients Ask Us To Do (Most-Requested) — International Cross Border Tax Advice and Planning in Downtown Toronto

  • Determine residency when splitting time across countries; apply treaty tie-breakers to avoid dual residency and align filing bases.
  • Plan moves (into/out of Canada): departure tax strategy, home sale vs. rental conversion, elective filings, timing of income/bonuses/vesting.
  • Coordinate Canada–U.S. filings for citizens/green card holders in Canada: foreign tax credits vs. exclusions, PFIC mitigation, GILTI planning, state residency pitfalls.
  • Structure cross-border businesses to avoid unexpected PE; implement arm’s-length transfer pricing; manage VAT/GST/HST and customs; design intercompany flows.
  • Handle foreign property: purchase, rent, sale; manage withholding and clearance procedures (T2062, FIRPTA), and treaty-rate optimization.
  • Resolve audits & disputes with CRA/IRS/EU/Asia authorities; prepare submissions; negotiate settlements; pursue relief and competent authority where appropriate.

Our Downtown & Midtown Locations

International Cross Border Tax Advice and Planning in Downtown Toronto is delivered from four convenient offices:

  • 1 Dundas St W, Suite 2500 (Yonge & Dundas) — Flagship for International Cross Border Tax Advice and Planning in Downtown Toronto
  • 401 Bay St, Suite 1600 (Bay & Queen) — PATH-connected
  • 2 Bloor St W, Suite 700 (Yonge & Bloor) — Yorkville corridor
  • 2 St. Clair Ave W, 18th Floor (Yonge & St. Clair) — Midtown hub

Book now: (416) 628-7824 Ext. 2 • info@torontotaxconsulting.com


(Representative list; we regularly handle additional jurisdictions.)

Need a country not listed? We will still deliver International Cross Border Tax Advice and Planning in Downtown Toronto and coordinate with that tax authority.


FAQs International Cross Border Tax Advice and Planning in Downtown Toronto

Note: Answers include practical compliance references (e.g., Canada Income Tax Act “ITA”, CRA forms; U.S. Internal Revenue Code “IRC”, IRS forms; OECD treaties). For personalized advice, book International Cross Border Tax Advice and Planning in Downtown Toronto at (416) 628-7824 Ext. 2.

General & Residency

Q1. What is International Cross Border Tax Advice and Planning in Downtown Toronto?
International Cross Border Tax Advice and Planning in Downtown Toronto coordinates residency rules, sourcing, and treaties to legally minimize double taxation and penalties. In practice, we map ITA residency (factual ties), treaty tie-breakers (OECD Art. 4), foreign tax credits (ITA s.126; IRC §901), and required forms (e.g., T1135, 1040/FBAR/FATCA).

Q2. How do I know my Canadian tax residency when I also spend time abroad?
International Cross Border Tax Advice and Planning in Downtown Toronto uses CRA’s factual residency tests (significant residential ties) and day-count guidance, then applies treaty tie-breakers (permanent home, vital interests, habitual abode, nationality). Documentation is vital for CRA review.

Q3. Can I be taxed in two countries at once?
International Cross Border Tax Advice and Planning in Downtown Toronto shows that dual taxation is often mitigated by treaties and credits. We align timing, source, and characterization so credits (ITA s.126/FTC, IRC §901) actually match the income.

Q4. I’m leaving Canada—what is “departure tax”?
International Cross Border Tax Advice and Planning in Downtown Toronto explains departure tax as a deemed disposition at FMV (ITA s.128.1(4)). Planning includes timing exits, elective deferrals, and asset selection to reduce overall tax and reporting.

Q5. How do treaty tie-breakers work?
International Cross Border Tax Advice and Planning in Downtown Toronto applies OECD/UN model Article 4 tests—permanent home, center of vital interests, habitual abode, then nationality—plus mutual agreement if needed.

Q6. Do digital nomads need cross-border planning?
International Cross Border Tax Advice and Planning in Downtown Toronto addresses split-source employment, PE risk for employers, withholding, and day-count tracking; filings can arise in more than one country.

Q7. I’m a U.S. citizen living in Toronto—what changes?
International Cross Border Tax Advice and Planning in Downtown Toronto coordinates Canadian residence-based tax with U.S. citizenship-based tax: 1040 annually, FBAR, FATCA (8938), PFIC (8621), 3520/3520-A for trusts, plus Canadian T1/T1135.

Q8. How do I claim foreign tax credits in Canada?
International Cross Border Tax Advice and Planning in Downtown Toronto ensures credits (ITA s.126) are computed by source baskets and timing; proper slips (e.g., foreign assessments) and matching characterization are essential.

Q9. Can I keep Canadian residency while abroad for a few years?
International Cross Border Tax Advice and Planning in Downtown Toronto evaluates whether significant ties remain in Canada and whether the other country claims residency; treaties may assign non-resident status even if ties persist.

Q10. What documents help prove my residency position?
International Cross Border Tax Advice and Planning in Downtown Toronto recommends housing/lease records, spouse/dependents’ location, health coverage, voter rolls, driver’s licence, bank/home ownership, social and employment ties—organized contemporaneously.

Income Types & Investments

Q11. How are RSUs/stock options taxed when I move mid-vesting?
International Cross Border Tax Advice and Planning in Downtown Toronto allocates income to grant-to-vest workdays in each country; payroll and credits must be coordinated.

Q12. Are foreign mutual funds/PFICs a problem for Canadians with U.S. filings?
International Cross Border Tax Advice and Planning in Downtown Toronto addresses PFIC punitive regimes (Form 8621, QEF/MTM elections) and Canadian characterization (capital vs. income) to reduce double taxation.

Q13. Do I report foreign bank and investment accounts?
International Cross Border Tax Advice and Planning in Downtown Toronto handles T1135 (>$100k cost), U.S. FBAR (FinCEN 114), FATCA 8938, plus local regimes (e.g., EU bank reporting).

Q14. How are foreign pensions taxed?
International Cross Border Tax Advice and Planning in Downtown Toronto reviews treaty articles (pensions, annuities, social security) and coordinates credits or exemptions (e.g., Canada–U.S. Social Security totalization).

Q15. Crypto across borders—what should I know?
International Cross Border Tax Advice and Planning in Downtown Toronto maps dispositions, airdrops, staking, and reporting (T1135 exposure; U.S. 8949/Schedule D; EU MiCA-driven reporting trends).

Business, PE & Transfer Pricing

Q16. When does a foreign employer create a Canadian permanent establishment (PE)?
International Cross Border Tax Advice and Planning in Downtown Toronto applies treaty PE definitions (fixed place, dependent agents) and BEPS changes; we adapt activities/agreements to avoid accidental PE.

Q17. How should intercompany pricing be set?
International Cross Border Tax Advice and Planning in Downtown Toronto documents arm’s-length policies (OECD TP Guidelines), prepares local/master files, and aligns VAT/GST/HST impact.

Q18. Do remote Canadian staff create foreign tax obligations for a non-Canadian company?
International Cross Border Tax Advice and Planning in Downtown Toronto assesses whether home offices or sales activity trigger PE, employer registration, or payroll withholding.

Q19. What’s the right U.S. entity for a Canadian founder?
International Cross Border Tax Advice and Planning in Downtown Toronto evaluates C-Corp vs. LLC/LP vs. S-Corp (eligibility), considering GILTI/Subpart F, treaty limits, QSBS, and Canadian FAPI.

Q20. How do I manage VAT/GST/HST on cross-border e-commerce?
International Cross Border Tax Advice and Planning in Downtown Toronto designs registration, place-of-supply, OSS/IOSS (EU), and Canadian GST/HST rules for platforms/direct sellers.

Real Estate & Withholding

Q21. I’m a non-resident selling Canadian real estate—what filings apply?
International Cross Border Tax Advice and Planning in Downtown Toronto manages T2062/T2062A clearance, NR4/NR6, Section 116 certificates, and final returns.

Q22. FIRPTA—what if I sell U.S. property?
International Cross Border Tax Advice and Planning in Downtown Toronto prepares FIRPTA (IRC §1445) withholding procedures (Forms 8288/8288-A) and treaty relief.

Q23. Converting my home to a rental—how to avoid nasty surprises?
International Cross Border Tax Advice and Planning in Downtown Toronto coordinates subsection 45(2) elections (Canada), CCA/recapture, and U.S. depreciation alignment.

Q24. Do treaties reduce tax on rental income?
International Cross Border Tax Advice and Planning in Downtown Toronto applies treaty rates and elections (net basis vs. gross withholding), ensuring credits match.

Trusts, Estates & Wealth

Q25. How do Canadian-U.S. trusts work for family planning?
International Cross Border Tax Advice and Planning in Downtown Toronto distinguishes grantor vs. non-grantor (U.S.) and Canadian attribution/throwback rules, with 3520/3520-A and T3 compliance.

Q26. Do I need multiple wills across countries?
International Cross Border Tax Advice and Planning in Downtown Toronto coordinates primary/secondary wills to streamline probate and reduce estate administration across jurisdictions.

Q27. Can foreign executors cause issues in Ontario probate?
International Cross Border Tax Advice and Planning in Downtown Toronto prepares supporting documents, bonds/exemptions, and cross-border asset access strategies.

Compliance, Disputes & Relief

Q28. I missed foreign reporting—what now?
International Cross Border Tax Advice and Planning in Downtown Toronto uses voluntary disclosure/relief programs (CRA taxpayer relief; IRS streamlined/VDP) to mitigate penalties.

Q29. How are penalties and interest computed in Canada?
International Cross Border Tax Advice and Planning in Downtown Toronto breaks down late-filing/omission penalties (ITA s.162/163) and interest rules with paths to relief.

Q30. Can competent authority resolve double taxation?
International Cross Border Tax Advice and Planning in Downtown Toronto initiates MAP/APA processes for disputes on residency, PE, and transfer pricing.

Canada–U.S. Specific

Q31. 1040 vs. 1040-NR when living in Toronto?
International Cross Border Tax Advice and Planning in Downtown Toronto determines U.S. filing status (citizenship/green card/substantial presence), then syncs Canadian filings and credits.

Q32. What is GILTI and why do Canadians care?
International Cross Border Tax Advice and Planning in Downtown Toronto evaluates GILTI/Subpart F for Canadians with U.S. CFC interests; we coordinate Canadian FAPI and FTCs.

Q33. FBAR vs. FATCA—what’s the difference?
International Cross Border Tax Advice and Planning in Downtown Toronto explains FBAR (FinCEN 114) threshold vs. FATCA 8938 asset thresholds and penalties.

Q34. State taxes—do they affect Canadians?
International Cross Border Tax Advice and Planning in Downtown Toronto addresses nexus and residency, especially in California, New York, and other aggressive states.

Europe Focus

Q35. What should I know about EU VAT for digital services?
International Cross Border Tax Advice and Planning in Downtown Toronto implements OSS/IOSS, invoicing rules, platform vs. merchant status, and place-of-supply.

Q36. Can a commissionaire avoid PE under modern treaties?
International Cross Border Tax Advice and Planning in Downtown Toronto evaluates post-BEPS anti-fragmentation and dependent agent rules.

Q37. How do I repatriate EU dividends to Canada tax-efficiently?
International Cross Border Tax Advice and Planning in Downtown Toronto uses treaty rates, participation exemptions where available, and FTC timing.

Asia-Pacific Focus

Q38. Expanding into Singapore or Hong Kong—what’s different?
International Cross Border Tax Advice and Planning in Downtown Toronto accounts for territorial regimes, substance requirements, and IRAS/IRD guidance on PE and transfer pricing.

Q39. India investments—PFIC, FPI, or FDI?
International Cross Border Tax Advice and Planning in Downtown Toronto addresses India’s source rules, TDS, and coordination with Canadian FTCs and reporting.

Q40. Australia property and moving to Canada?
International Cross Border Tax Advice and Planning in Downtown Toronto aligns ATO CGT events, main-residence exemptions, and Canadian cost-base resets.

Real-World Situations

Q41. I split time between Toronto and London for work—who gets to tax my salary?
International Cross Border Tax Advice and Planning in Downtown Toronto apportions by workdays, employer location, and treaty Article 15; payroll and credits must match.

Q42. I sold a condo abroad—do I owe Canadian tax?
International Cross Border Tax Advice and Planning in Downtown Toronto computes Canadian capital gains, applies FTCs, and files foreign disposals correctly.

Q43. My startup has remote sales in the EU—do we register for VAT?
International Cross Border Tax Advice and Planning in Downtown Toronto reviews thresholds and platform rules, then implements OSS/IOSS or local VAT with invoicing compliance.

Q44. Can I deduct foreign mortgage interest?
International Cross Border Tax Advice and Planning in Downtown Toronto matches interest to rental/business income, observing thin-cap/earnings-stripping limits where applicable.

Q45. How do I move shares into a holding company before emigrating?
International Cross Border Tax Advice and Planning in Downtown Toronto evaluates rollover provisions, butterfly/section 85, GAAR, and treaty effects.

Q46. What if my employer pays me from the U.S. while I work in Toronto?
International Cross Border Tax Advice and Planning in Downtown Toronto addresses Canadian payroll obligations, PE risk for the employer, and U.S. withholding adjustments.

Q47. Are foreign life insurance and trusts reportable?
International Cross Border Tax Advice and Planning in Downtown Toronto assesses T1135 exposure, 3520/3520-A, and local anti-avoidance rules.

Q48. How do I handle foreign rental losses?
International Cross Border Tax Advice and Planning in Downtown Toronto applies at-risk/passive loss rules (U.S.) and Canadian loss limitations, ensuring cross-credit integrity.

Q49. What records must I keep for cross-border audits?
International Cross Border Tax Advice and Planning in Downtown Toronto requires contracts, travel logs, payroll evidence, valuations, and TP documentation retained per statute-barred periods.

Q50. When should I seek competent authority vs. appeal locally?
International Cross Border Tax Advice and Planning in Downtown Toronto compares efficiency, relief scope, and treaty timelines to select the right forum.

Q51. Are treaty residence certificates necessary?
International Cross Border Tax Advice and Planning in Downtown Toronto often obtains residence certificates to unlock treaty rates and defend withholding positions.

Q52. How does the OECD MLI affect my planning?
International Cross Border Tax Advice and Planning in Downtown Toronto incorporates anti-abuse clauses (PPT), PE expansions, arbitration options, and tie-breaker changes.

Q53. Do I need a Canadian clearance certificate before funds leave the country?
International Cross Border Tax Advice and Planning in Downtown Toronto reviews when Section 116 certificates apply (non-resident dispositions) to avoid remittance delays and penalties.

Q54. Can I normalize past non-filing without harsh penalties?
International Cross Border Tax Advice and Planning in Downtown Toronto evaluates CRA taxpayer relief, IRS streamlined/VDP, and supporting reasonable cause submissions.

Q55. How do exchange rates affect my tax?
International Cross Border Tax Advice and Planning in Downtown Toronto standardizes functional currency, reporting currency, and FX translation per jurisdictional rules.

Q56. What’s the impact of remote work from Toronto for a foreign employer?
International Cross Border Tax Advice and Planning in Downtown Toronto covers payroll registration, CPP/EI, PE risk, and treaty exemptions if conditions are met.

Q57. Will my TFSA or RESP be taxed in the U.S.?
International Cross Border Tax Advice and Planning in Downtown Toronto flags U.S. treatment (often not tax-favoured) and plans ownership/beneficiary structures accordingly.

Q58. Can I claim treaty benefits without filing forms?
International Cross Border Tax Advice and Planning in Downtown Toronto ensures the right forms (e.g., W-8BEN-E, NR301, schedules) are completed to secure reduced rates.

Q59. What’s the first step to start?
International Cross Border Tax Advice and Planning in Downtown Toronto begins with a document checklist, residency/treaty mapping, and a written plan aligned to filings and deadlines.

Q60. How quickly can we implement?
International Cross Border Tax Advice and Planning in Downtown Toronto prioritizes critical filings and withholding registrations immediately, then phases structural changes with legal and payroll teams.


Call to Action — Start International Cross Border Tax Advice and Planning in Downtown Toronto Today

Email: info@torontotaxconsulting.com | Phone: (416) 628-7824 Ext. 2
Visit (by appointment):
1 Dundas St W, Suite 2500 • 401 Bay St, Suite 1600 • 2 Bloor St W, Suite 700 • 2 St. Clair Ave W, 18th Floor

Get a written, step-by-step plan for International Cross Border Tax Advice and Planning in Downtown Toronto that ties every recommendation to specific legislation, treaty articles, and filing requirements—so you can move confidently across borders.


Our Locations

🇨🇦 Canadian Offices

Downtown Toronto (Bay & Queen)
Toronto Tax Consulting
📍 401 Bay St, Suite 1600
Toronto, ON M5H 2Y4
📞 416-628-7824 Ext. 2
Downtown Toronto (Yonge & Dundas)
Toronto Tax Consulting
📍 1 Dundas St W, Suite 2500
Toronto, ON M5G 1Z3
📞 416-628-7824 Ext. 2
Downtown Toronto — International Tax Advisor Office
📍 161 Bay St, 27th Floor
Toronto, ON M5J 2S1
📞 1-800-693-5950
Midtown Toronto (Yonge & St. Clair)
Toronto Tax Consulting
📍 2 St. Clair Ave W, 18th Floor
Toronto, ON M4V 1L5
📞 (647) 951-2348 Ext. 2
Downtown Toronto (Yonge & Bloor)
Toronto Tax Consulting
📍 2 Bloor St W, Suite 700,
Toronto, ON M4W 3E2
📞 (647) 951-2013 Ext. 2
Etobicoke, ON
Etobicoke Tax Consulting
📍 3250 Bloor St W, Suite 600
East Tower, Etobicoke, ON M8X 2X9
📞 1-800-717-4162 Ext. 2
North York, ON (Yonge & Sheppard)
North York Tax Consulting
📍 4711 Yonge St, 10th Floor
Toronto, ON M2N 6K8
📞 416-628-7824
Mississauga, ON (Square One)
Mississauga Tax Consulting
📍 4 Robert Speck Pkwy, Suite 1500
Mississauga, ON L4Z 1S1
📞 1-888-905-7577
Oakville, ON
Toronto Tax Consulting – Oakville
📍 2010 Winston Park Dr, Suite 200
Oakville, ON L6H 5R7
📞 1-888-905-7577
Markham, ON
Markham Tax Consulting
📍 15 Allstate Pkwy, Suite 600
Markham, ON L3R 5B4
📞 416-628-7824
Vaughan, ON (NEW)
Toronto Tax Consulting – Vaughan
📍 9131 Keele St, Suite A4
Vaughan, ON L4K 0G7
📞 416-628-7824 Ext. 2
Pickering, ON (NEW)
Toronto Tax Consulting – Pickering
📍 1315 Pickering Pkwy
Picore Centre I, Suite 300, Pickering, ON L1V 7G5
📞 416-628-7824 Ext. 2

🇺🇸 U.S. Offices

New York, NY
Toronto Tax Consulting
📍100 Park Avenue, Suite 1600
New York, NY 10017
📞 646-995-5187
Chicago, IL
Toronto Tax Consulting
📍30 S Wacker Dr, Suite 2200
Chicago, IL 60606
📞 1-800-717-4162
Washington, DC
Toronto Tax Consulting
📍1200 G St NW, Suite 800
Washington, DC 20005
📞 1-800-693-5950
Pasadena, CA
Toronto Tax Consulting
📍Century Square, 155 N Lake Ave, Suite 800
Pasadena, CA 91101
📞 1-800-693-5950
Miami, FL
Toronto Tax Consulting
📍201 South Biscayne Boulevard
Miami, FL 33131
📞 1-800-693-5950

🇬🇧 European Offices

London, UK
Toronto Tax Consulting
37th Floor, Canary Wharf, 1 Canada Square
London, E14 5AA, United Kingdom
📞 +44 20 3885 6292