Published by the Business Law Group
McCarthy Tétrault FRANÇAIS VOL.4,
ISSUE 3
2009
September
2
Business Law Quarterly


McCarthy Tétrault Co-Counsel: Business Law Quarterly
(Volume 4, Issue 3)

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Welcome to Volume 4, Issue 3 of McCarthy Tétrault Co-Counsel: Business Law Quarterly. This publication has been created to give our clients a picture of what is going on in business law and, most importantly, what it means to them.

All the authors listed in the publication, as well as all their colleagues at McCarthy Tétrault, are happy to answer your questions and discuss the issues raised in the articles.

Securities

Canadian Securities Regulator Transition Office Opens for Business 
CSA Harmonizes Dealer and Adviser Registration Requirements Pursuant to National Instrument 31-103
Ontario Prospectus and Registration Exemptions — Amendments to National Instrument 45-106 and OSC Rule 45-501 arising from Ontario Budget Bill 162: Other Changes to National Instrument 45-106
Implementation of Point of Sale Disclosure for Mutual Funds
Regulation of Derivatives — An Update

Public Company Disclosure & Corporate Governance

Recent Shareholder Governance Initiatives in the United States and Implications for Canada
CCGG Advances ‘Say-on-Pay’ Policy and Executive Compensation Principles
Director and Officer Indemnification Agreements
Issues Relating to Changeover to IFRS — More from CSA Staff

Mergers & Acquisitions

OSC Refuses to Cease Trade Poison Pill: Shareholder Rights Plan Maintained in the Face of a Hostile Partial Bid 

Updates

Government Enacts Significant Changes to Canada’s Competition Laws
Québec Cap-and-Trade System
Ontario Introduces Legislative Changes to Facilitate a Cap-and-Trade System for Greenhouse Gases
The New Currency of Carbon Tonnes in Canada: Hints at $100+
Canadian Ownership and Control Rules: What Every Eager Foreign Investor Should Know
Canada’s New Foreign Investment Screening Rules: What Every Eager Foreign Investor Should Know
The Supreme Court Sides with Employer in the Kerry Case
Time to Restructure: Canadian ULC Structures Adversely Affected by Amended Canada-US Tax Treaty

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