International Tax Advice and Planning Yonge and Dundas 1 Dundas St W Suite 2500
Why choose International Tax Advice and Planning Yonge and Dundas 1 Dundas St W Suite 2500
At Toronto Tax Consulting, our International Tax Advice and Planning Yonge and Dundas 1 Dundas St W Suite 2500 practice delivers lawyer-level analysis, treaty navigation, and end-to-end compliance across Canada, the United States, Europe, and Asia. From first triage to implementation, you get clear answers, airtight filings, and a practical roadmap that aligns your business, investments, trusts, and cross-border life with CRA, IRS, OECD, and EU requirements—right at Yonge & Dundas, 1 Dundas St W, Suite 2500.
Call now: (416) 628-7824 Ext. 2
Email: info@torontotaxconsulting.com
Visit: 1 Dundas St W, Suite 2500, Toronto (Yonge & Dundas)

Who we are — International Tax Advice and Planning Yonge and Dundas 1 Dundas St W Suite 2500
Our team at International Tax Advice and Planning Yonge and Dundas 1 Dundas St W Suite 2500 is led by senior advisors with graduate-level tax law training (LL.M. (Tax)), decades of cross-border experience, and deep knowledge of the Income Tax Act (Canada), U.S. Internal Revenue Code, OECD Model Convention, EU directives (ATAD I & II), and bilateral treaties. We combine academic rigor with practical execution: planning memoranda, filing checklists, CRA/IRS submission packages, and implementation timelines that hold up in audits and due diligence.
We are known for:
- Complex residency determinations, treaty tie-breakers, and exit/entry tax planning.
- Cross-border owner-managed corporations, CCPC strategies, and controlled foreign corporation (CFC/GILTI/Subpart F) coordination.
- High-net-worth trust and estate structures spanning Canada–U.S.–EU–Asia.
- Real estate holding structures, financing flows, FIRPTA/withholding, and repatriation strategies.
- Audit defense, voluntary disclosures, penalty mitigation, and competent authority relief.
Who our clients are — Canada, U.S., Europe, and Asia
At International Tax Advice and Planning Yonge and Dundas 1 Dundas St W Suite 2500, our clients include:
- Canadian residents with U.S./EU brokerage accounts, rental homes in Portugal or Spain, or Delaware/Wyoming holding companies—seeking FTC optimization and T1135/T1134 coordination.
- U.S. citizens/green-card holders in Toronto balancing PFIC exposure on Canadian funds, TFSA/RDSP treatment, GILTI from Canadian corporations, and estate/gift tax overlaps.
- Founders and executives relocating Canada ↔ U.S./EU/Asia, needing departure tax modeling, totalization agreements, and equity/stock-option sourcing across tax years.
- Global families with trusts, dual wills, private companies, and multi-country real estate—requiring treaty-driven distributions, 3520/3520-A, 5471/8865, T3/T5/T1134, and OECD economic-substance alignment.
- Investors and prop-tech landlords using Canadian/US/UK vehicles for cross-border rentals, navigating Section 216/NR6, FIRPTA, EU withholding, and VAT/GST/HST.
What we do — Extensive service list (Canada, U.S., Europe, Asia)
At International Tax Advice and Planning Yonge and Dundas 1 Dundas St W Suite 2500, we provide:
Residency, immigration/emigration & treaty analysis
- Canadian residency tests (factual/deemed), Article IV tie-breakers, exit/entry tax, and date-based sourcing.
- U.S. substantial-presence, closer-connection, Form 8840/8843, dual-status coordination, and Article XXV relief.
- EU postings (A1/totalization), home-office and PE risk mitigation, and employer-of-record structuring.
Corporate & entrepreneur cross-border planning
- CCPC vs. foreign-affiliate decisioning, T1134/FAPI, Subpart F/GILTI, QBAI, and high-tax exception evaluation.
- Transfer pricing policy (OECD/ITA s.247), intercompany agreements, DEMPE for IP, and cost-sharing.
- Sales tax/VAT/GST/HST nexus, marketplace facilitator rules, and OSS/IOSS for EU e-commerce.
Private wealth, trusts & estates
- Dual-jurisdiction wills, Section 94/non-resident trust rules, 3520/3520-A, 8938/FBAR.
- Cross-border gifts, estate/generation-skipping planning, and treaty estate relief.
- Charitable planning, donor-advised funds, and 1041/T3 coordination.
Real estate & investment structures
- FIRPTA, NRST/withholding management, Section 216, NR6/NR4, T2062/certificate of compliance.
- Partnership/LLC/ULC selection, REIT/SCPI exposure, and foreign tax credit stacking.
- Brokerage reporting, PFIC identification, and cost-basis reconstruction for legacy positions.
Compliance & controversy
- CRA/IRS/EU audit defense, competent authority relief, voluntary disclosures, and penalty abatement.
- Full-stack filings: T1/T2/T3, T1135/T1134, 8891/8621/5471/8865/8938/FBAR, VAT/GST/HST, OSS/IOSS, and local returns.
- International Tax Advice and Planning Yonge and Dundas 1 Dundas St W Suite 2500 end-to-end compliance calendar and governance.
What clients ask us to do (most common issues)
At International Tax Advice and Planning Yonge and Dundas 1 Dundas St W Suite 2500, frequent mandates include:
- “Am I Canadian resident, non-resident, or dual?”—We run timeline, ties, treaty analysis, and deliver a Residency Determination Memo + filing checklist.
- “How do I avoid double tax on salary/bonus/RSUs?”—We model sourcing, foreign tax credit optimization, and treaty relief, with payroll coordination.
- “U.S. citizen in Canada—PFIC/GILTI?”—We classify funds, evaluate mark-to-market/QEF, restructure holdings, and coordinate 8621/5471 with T1135/T1134.
- “Selling U.S./EU property”—We handle FIRPTA/EU withholding, basis support, Section 216 elections, and repatriation.
- “Moving company/IP cross-border”—We design opco/holdco/IP-co with TP documentation and economic substance.
- “Trust distributions to cross-border beneficiaries”—We align character carry-through, withholding, and dual filing (T3, 1041, 3520).
Countries & tax authorities we deal with (selected)
(Official links to help you research; ask us for your country if not listed.)
- Canada — CRA: https://www.canada.ca/en/revenue-agency.html
- United States — IRS: https://www.irs.gov
- United Kingdom — HMRC: https://www.gov.uk/government/organisations/hm-revenue-customs
- Ireland — Revenue: https://www.revenue.ie
- France — Impôts (DGFiP): https://www.impots.gouv.fr
- Germany — BZSt: https://www.bzst.de
- Netherlands — Belastingdienst: https://www.belastingdienst.nl
- Belgium — SPF Finances: https://finances.belgium.be
- Luxembourg — ACD: https://acd.public.lu
- Switzerland — ESTV: https://www.estv.admin.ch
- Italy — Agenzia Entrate: https://www.agenziaentrate.gov.it
- Spain — Agencia Tributaria: https://www.agenciatributaria.es
- Portugal — Autoridade Tributária: https://www.portaldasfinancas.gov.pt / https://www.at.gov.pt
- Denmark — Skattestyrelsen: https://www.skat.dk
- Sweden — Skatteverket: https://www.skatteverket.se
- Norway — Skatteetaten: https://www.skatteetaten.no
- Finland — Vero: https://www.vero.fi
- Poland — KAS/Taxes: https://www.podatki.gov.pl
- Czech Republic — Finanční správa: https://www.financnisprava.cz
- Greece — AADE: https://www.aade.gr
- Australia — ATO: https://www.ato.gov.au
- New Zealand — IR: https://www.ird.govt.nz
- Singapore — IRAS: https://www.iras.gov.sg
- Hong Kong — IRD: https://www.ird.gov.hk
- China — STA: http://www.chinatax.gov.cn
- Japan — NTA: https://www.nta.go.jp
- South Korea — NTS: https://www.nts.go.kr
- India — Income Tax: https://www.incometax.gov.in
- United Arab Emirates — FTA: https://tax.gov.ae
- Saudi Arabia — ZATCA: https://zatca.gov.sa
- Qatar — GTA: https://www.gta.gov.qa
- Bahrain — NBR: https://www.nbr.gov.bh
- Israel — ITA: https://taxinfo.taxes.gov.il
- Turkey — GİB: https://www.gib.gov.tr
- Brazil — Receita Federal: https://www.gov.br/receitafederal
- Mexico — SAT: https://www.sat.gob.mx
- Argentina — AFIP: https://www.afip.gob.ar
- Chile — SII: https://www.sii.cl
- Colombia — DIAN: https://www.dian.gov.co
- South Africa — SARS: https://www.sars.gov.za
How our services work (step-by-step)
Step 1: Discovery at International Tax Advice and Planning Yonge and Dundas 1 Dundas St W Suite 2500
- 30–60 minute intake: facts, jurisdictions, timelines, assets, entities, filings to date.
- Document list issued (IDs, returns, brokerage statements, compensation docs, trust deeds).
Step 2: Risk map & strategy memo
- Residency/treaty position; PE, CFC/GILTI/FAPI analysis; PFIC inventory; real estate and withholding exposure; VAT/GST/HST nexus.
- Written Strategy Memo with options (conservative → optimal), compliance checklists, and timelines.
Step 3: Implementation & filings
- Entity formation/amendments, TP documentation, payroll/tax registrations, elections and forms (T1135/T1134/8621/5471/etc.), and local VAT/GST/HST.
- Cross-border trustee/estate steps and bank/FX/repatriation planning.
Step 4: Monitor & defend
- Calendarized compliance, audit readiness file, voluntary disclosure if needed, competent authority applications, and penalty relief submissions.
FAQs — International Tax Advice and Planning Yonge and Dundas 1 Dundas St W Suite 2500
Residency, immigration/emigration (International Tax Advice and Planning Yonge and Dundas)
1. How do I determine Canadian tax residency if I split time across countries?
We test factual ties (dwelling, spouse/dependants, personal property, social/economic ties), days in/out of Canada, deemed residency, and apply treaty Article IV tie-breakers (permanent home, centre of vital interests, habitual abode, nationality). Deliverables include a Residency Determination Memo and filing sequence (e.g., part-year, dual-status, treaty disclosure).
- Issue: Uncertain residency leads to double filing, double tax, penalties.
- Outcome: A defensible residency position, aligned filings, and minimized double tax through International Tax Advice and Planning Yonge and Dundas analysis.
2. What is departure tax when leaving Canada for work in the U.S. or EU?
On emigration, certain property is deemed disposed at fair market value (ITA s.128.1). Planning may include timing the emigration date, elections, security for tax, CRA clearance, and foreign tax credit (FTC) synchronization.
- Issue: Surprise deemed gains and liquidity strain.
- Outcome: Sequenced exits, cash-flow plan, elections/security arranged, coordinated FTCs to reduce overall burden.
3. Can I claim the U.S. closer connection or treaty non-resident position?
If facts support nonresident status under IRC §7701(b) or treaty Article IV, we prepare Form 8840 or a treaty position with accurate disclosure (e.g., Form 8833 where applicable).
- Issue: Triggering full U.S. resident tax by misapplied presence tests.
- Outcome: Proper non-resident status, targeted U.S. filings, and reduced worldwide U.S. tax exposure.
4. How do totalization agreements affect CPP/SS contributions during assignments?
We obtain certificates of coverage (e.g., A1 in EU; SSA/CPP) to avoid dual social taxes and align payroll.
- Issue: Dual social security costs and compliance drift.
- Outcome: Single-system coverage with documentation accepted by both authorities.
5. Do I need to file in both Canada and the U.S. in my first relocation year?
Often yes (split-year, dual-status). We synchronize residency dates, source rules, and foreign tax credits.
- Issue: Mismatched periods create FTC waste.
- Outcome: Coordinated filings and optimal FTC utilization via International Tax Advice and Planning Yonge and Dundas planning.
Income, investments & PFIC/GILTI (International Tax Advice and Planning Yonge and Dundas)
6. Are my Canadian mutual funds PFICs for U.S. purposes?
Frequently. We inventory funds, identify PFICs, evaluate QEF/Mark-to-Market elections, and complete Form 8621, coordinating Canadian T1135 disclosures.
- Issue: Punitive PFIC taxation and late-filing penalties.
- Outcome: Election strategy, accurate PFIC reporting, and reduced long-run drag.
7. What is GILTI and does it apply to my Canadian corporation?
U.S. shareholders of controlled foreign corporations may face GILTI; we test high-tax exclusion, §250 deduction, and FTC limits.
- Issue: Unexpected inclusions on active Canadian profits.
- Outcome: High-tax exclusion modeling and corporate structuring that mitigates U.S. inclusions.
8. How do I handle U.S. 1099/1042-S income as a Canadian resident?
We reconcile slips (1099/1042-S) with broker statements, apply treaty rates, and optimize FTCs.
- Issue: Double taxation from mismatched reporting.
- Outcome: One set of numbers that tie across both returns with maximized credits.
9. Can I avoid double tax on RSUs/stock options granted abroad?
We allocate compensation by workdays across jurisdictions, apply treaty sourcing, and align payroll reporting.
- Issue: Over-taxation across vesting and mobility.
- Outcome: Precise sourcing and credit relief with employer/payroll coordination.
10. What reporting do I have for foreign accounts and assets?
Canada: T1135. U.S.: FBAR/FinCEN 114, Form 8938, and potentially 5471/8865/8621 etc.
- Issue: High penalties for missed foreign filings.
- Outcome: Full inventory, correct forms, and penalty-risk reduction via International Tax Advice and Planning Yonge and Dundas checklists.
Real estate & withholding (International Tax Advice and Planning Yonge and Dundas)
11. Selling U.S. property as a Canadian?
We plan FIRPTA withholding, basis reconstruction, state filings, and post-sale FTCs; for rentals, consider Section 216 elections.
- Issue: Excessive withholding and missed deductions.
- Outcome: Right-sized withholdings, optimized gain reporting, and coordinated credits.
12. Renting Canadian property as a non-resident?
We manage NR4 and 25% withholding; NR6 allows net-basis tax on elections with Canadian agent/statement compliance.
- Issue: Paying 25% gross when net could be lower.
- Outcome: NR6 implementation and lower, net-basis taxation.
13. Buying in Portugal/Spain/France—what about local taxes and reporting?
We select ownership form (personal vs. company vs. trust), obtain local tax IDs, and plan wealth/municipal taxes and exit.
- Issue: Unintended local taxes and reporting traps.
- Outcome: Efficient structure with compliant registrations and a future exit plan.
14. Withholding tax on cross-border interest/dividends?
We apply treaty rates, file W-8BEN/W-8BEN-E/NR301, and maintain beneficial-owner files.
- Issue: Over-withholding and refund delays.
- Outcome: Lower treaty rates up front with documentation to survive audits.
15. Do I need a Canadian certificate of compliance (T2062) when selling real property?
For non-residents disposing of taxable Canadian property, yes—plan early to reduce buyer holdbacks.
- Issue: Cash trapped in statutory holdbacks.
- Outcome: Clearance certificate to release funds sooner.
Corporate, transfer pricing & VAT/GST/HST (International Tax Advice and Planning Yonge and Dundas)
16. When do I create a permanent establishment (PE)?
We assess where contracts are concluded, who habitually exercises authority, and functions/assets/risks.
- Issue: Hidden PE triggers corporate tax and compliance.
- Outcome: Operational and contractual design that avoids unintended PE.
17. What transfer pricing documentation is required?
Contemporaneous documentation under ITA s.247 and OECD Guidelines (master/local file), with benchmarking.
- Issue: TP penalties and adjustments.
- Outcome: Defensible files, aligned policies, and reduced adjustment risk.
18. How do I handle EU VAT on digital services or e-commerce?
We assess thresholds, OSS/IOSS, marketplace rules, and VAT registrations.
- Issue: Multi-country VAT exposure and blocked sales.
- Outcome: Centralized VAT approach enabling compliant EU sales.
19. Do I need to register for GST/HST in Canada if I sell remotely?
Likely if digital or fulfillment thresholds are met or you carry on business in Canada.
- Issue: Uncollected GST/HST, retroactive assessments.
- Outcome: Correct registration and invoicing from day one.
20. How to pay myself from a cross-border company (salary vs. dividends)?
We model integration, treaty relief, RRSP/TFSA impact, and U.S. NIIT exposure.
- Issue: Inefficient total tax and benefit loss.
- Outcome: Compensation mix that minimizes combined tax.
Trusts, estates, gifts & charity (International Tax Advice and Planning Yonge and Dundas)
21. How are foreign trusts taxed in Canada and the U.S.?
We assess residence, attribution rules, and file T3, 3520/3520-A, 8938/FBAR.
- Issue: Attribution and severe penalties for late trust filings.
- Outcome: Proper characterization, timely forms, and penalty mitigation.
22. Cross-border estate planning for U.S. citizens in Toronto?
We coordinate worldwide estate/gift tax, treaty relief, dual wills, and trust mechanics.
- Issue: Estate exposure and probate friction across borders.
- Outcome: Structures with targeted treaty and probate outcomes.
23. Charitable giving across borders—how to get receipts/credits?
We use recognized donees/treaty provisions; donor-advised funds and appraisals as needed.
- Issue: Non-creditable gifts.
- Outcome: Credit-eligible, well-documented donations.
24. How to distribute trust income to beneficiaries in multiple countries?
We preserve character (capital/dividend/interest), manage withholding, and prepare recipient packs.
- Issue: Character lost; excess withholding.
- Outcome: Optimal distributions with creditable tax.
25. Moving appreciated securities to heirs abroad—tax issues?
We plan deemed dispositions, step-up/step-down, and timing.
- Issue: Large unrealized gains crystallized at wrong time.
- Outcome: Sequenced transfers minimizing immediate tax.
Compliance, audits & relief (International Tax Advice and Planning Yonge and Dundas)
26. Can penalties be reduced for late foreign reporting?
We assess voluntary disclosure and reasonable-cause submissions; competent authority if double-tax arises.
- Issue: High non-compliance penalties.
- Outcome: Reduced penalties and clean restart.
27. How to prepare for a CRA or IRS audit on foreign assets?
We create audit-ready files, reconcile slips/statements, and manage representation.
- Issue: Disallowances and proposed penalties.
- Outcome: Contained scope and sustainable resolutions.
28. Do I need an 8833 or Canadian treaty disclosure?
For treaty-based positions, we prepare required disclosures (IRC §6114; resident rules).
- Issue: Incomplete disclosure jeopardizes treaty claim.
- Outcome: Compliant, documented treaty relief.
29. What happens if I missed several years of filings after moving?
We triage years, sequence filings, and mitigate compounding penalties.
- Issue: Accrued penalties and risk of enforcement.
- Outcome: Staged clean-up with minimized exposure.
30. How do I synchronize tax years and currencies across countries?
We apply FX rules, fiscal year alignments, and transitional elections.
- Issue: FTC leakage and mismatched recognition.
- Outcome: Harmonized timing and optimized credits.
Payroll, social security & mobility (International Tax Advice and Planning Yonge and Dundas)
31. Can I stay on my home payroll while working in Canada/EU?
We assess host payroll, shadow payroll, and social security rules.
- Issue: Non-compliance and fines.
- Outcome: Correct registrations and coordinated remittances.
32. How do stock-based awards get taxed when I transfer mid-vesting?
We allocate by workdays and jurisdictions; align employer/employee filings.
- Issue: Over-withholding and double tax.
- Outcome: Corrected sourcing, proper credits.
33. Per-diems and housing allowances abroad—taxable?
We apply local rules and treaty articles; draft policy guidance.
- Issue: Unclear treatment and reassessments.
- Outcome: Defensible expense policy and payroll coding.
34. Do I need a Canadian SIN, U.S. SSN/ITIN, or EU tax ID?
We obtain IDs and complete registrations.
- Issue: Return rejections and delays.
- Outcome: Valid IDs and on-time filings.
35. What if my spouse works in another country?
We optimize joint/separate filings, credits, and treaty residency.
- Issue: Split income taxed twice.
- Outcome: Coordinated filings minimizing combined tax.
Real-world scenarios we solve (International Tax Advice and Planning Yonge and Dundas)
36. Canadian founder with Delaware IP-HoldCo
We align TP, check-the-box, withholdings, and GILTI/high-tax rules.
- Issue: Royalty leakage and U.S. inclusions.
- Outcome: Documented TP and optimized intercompany flows.
37. U.S. citizen in Toronto with PFICs
We convert holdings, plan MTM/QEF, and file 8621 with T1135.
- Issue: PFIC interest charges and penalties.
- Outcome: Elections that reduce punitive treatment.
38. EU remote employee in Canada
We avoid PE, set secondment agreements, register payroll, and map VAT/GST/HST.
- Issue: Hidden PE and non-resident payroll failures.
- Outcome: Clean host-country compliance.
39. Non-resident landlord selling Toronto condo
We coordinate T2062, buyer holdback, and final filings.
- Issue: Excess holdback and slow clearance.
- Outcome: Faster clearance and accurate tax.
40. Family trust with U.S. and Canadian heirs
We time distributions and manage character.
- Issue: Character collapse and double tax.
- Outcome: Creditable, low-friction distributions.
Banking, FX & repatriation (International Tax Advice and Planning Yonge and Dundas)
41. How do I repatriate funds tax-efficiently?
We use dividends, interest, royalties, and returns of capital with treaty rates and documentation.
- Issue: Excessive withholding and trapped cash.
- Outcome: Predictable cross-border payments at treaty rates.
42. Are crypto assets reportable across borders?
Yes—often treated as property. We manage basis, T1135, and U.S. 8949/FBAR/8938.
- Issue: Missing crypto disclosures.
- Outcome: Full reporting with defensible records.
43. Can I use intercompany loans safely?
We apply arm’s-length interest, thin-cap and earning-stripping tests, and draft agreements.
- Issue: Deduction denials and recharacterization.
- Outcome: Compliant loans with support.
44. What about management fees or cost-sharing across affiliates?
We benchmark fees and implement allocation keys.
- Issue: TP challenges and withholding disputes.
- Outcome: Defensible fee flows and documentation.
45. Are foreign pensions taxable when I move?
We apply pension articles (e.g., Article XVIII, Canada–U.S.) and local law; consider rollovers.
- Issue: Double inclusion or early-withdrawal penalties.
- Outcome: Treaty-consistent reporting and minimized tax.
Filing mechanics & forms (International Tax Advice and Planning Yonge and Dundas)
46. Which Canadian forms cover foreign assets/entities?
T1135, T1134, T106, NR6, NR4, T2062.
- Issue: Onerous penalties for late or incomplete forms.
- Outcome: A calendarized, complete compliance pack.
47. Which U.S. forms might apply to cross-border taxpayers?
FBAR, 8938, 8621, 5471, 8865, 3520/3520-A, 1042-S/1042.
- Issue: Multi-form confusion and exposure.
- Outcome: Sequenced, reconciled filings.
48. Do I need VAT/EORI in the EU?
Often yes for goods/services. We register VAT and obtain EORI.
- Issue: Blocked imports and fines.
- Outcome: Legal gateway to EU trade.
49. Can I claim foreign tax credits for state or municipal taxes?
Often; we track categories/baskets and timing rules.
- Issue: Lost credits through timing mismatch.
- Outcome: Maximized FTCs with scheduling.
50. How do I document treaty rates to reduce withholding?
Correct W-8/NR301-303 and beneficial-owner files.
- Issue: Over-withholding and refund lag.
- Outcome: Lower rates applied up front.
Governance, risk & documentation (International Tax Advice and Planning Yonge and Dundas)
51. What governance should cross-border families and companies maintain?
Compliance calendars, board minutes, intercompany agreements, TP files, and policy binders.
- Issue: Audit exposure from weak records.
- Outcome: Audit-ready file and reduced penalties.
52. When is a voluntary disclosure appropriate?
When inadvertent non-compliance occurred; speed matters.
- Issue: Escalating penalties and criminal risk in extreme cases.
- Outcome: Reduced penalties and closure.
53. What is economic substance and why does it matter?
Substance (people/assets/risks) supports treaty/TP positions.
- Issue: Treaty denial and TP re-allocations.
- Outcome: Aligned operations and documentation.
54. Can payroll, VAT, and income tax be centralized?
Yes, but watch PE and fixed establishment.
- Issue: Centralization that accidentally creates nexus.
- Outcome: Central services with controlled risk.
55. How does OECD Pillar Two affect mid-market groups?
We model thresholds, safe harbors, and data needs.
- Issue: New compliance layers and top-up tax.
- Outcome: Early modeling and simplification roadmap.
What to do next — Contact International Tax Advice and Planning Yonge and Dundas 1 Dundas St W Suite 2500
- Call us now: (416) 628-7824 Ext. 2
- Email: info@torontotaxconsulting.com
- Visit us: International Tax Advice and Planning Yonge and Dundas 1 Dundas St W Suite 2500
- Map: https://maps.google.com/?q=1+Dundas+St+W,+Suite+2500,+Toronto
Fast-start checklist to bring
Passport/ID, last 2–3 years of returns, slips (T-slips/W-2/1099/1042-S), brokerage statements, trust/company documents, residency timeline, travel log, property files, payroll/comp agreements, and any tax notices from CRA/IRS/EU/Asia.
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 |
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🇬🇧 European Offices
| London, UK Toronto Tax Consulting 37th Floor, Canary Wharf, 1 Canada Square London, E14 5AA, United Kingdom 📞 +44 20 3885 6292 |
