Canada vs Owens Corning Canada Holdings ULC, March 2026, Tax Court, Case No. 2026 TCC 60
The Tax Court of Canada quashed appeals by Owens Corning Canada Holdings ULC after holding it lacked jurisdiction to order a downward transfer pricing adjustment sought in the calculation of foreign accrual property income. The court found that such adjustments require the Minister’s discretionary approval under subsection 247(10) of the Income Tax Act and cannot be ordered by this Court.
Canada vs Owens Corning Canada Holdings ULC, March 2026, Tax Court, Case No. 2026 TCC 60 Read Post »











