Contributing Writer, CCH Special Report on various federal budgets
Contributing Writer, CCH Canadian Tax Reporter Commentary
“Indirect Dispositions of Canadian Resource Properties by Non-residents: A “Minefield” of Canadian Tax Issues”, Resource Sector Taxation, 4(1) (Federated Press) 262-266, November 2005
“Accommodating Employees and Section 84.1: A Trap for the Unwary Employer”, Taxation of Executive Compensation & Retirement, 17(2) (Federated Press) 579-82, September 2005
“Access to Information – Ask and you shall receive…maybe!” Taxation Law, Ontario Bar Association, vol. 15, no. 2, March 2005, 26–29
Contributing Writer, CCH Canadian Tax Objection & Appeal Procedures
Contributing Writer, Canadian Transfer Pricing, (Toronto: CCH Canadian Limited, 2002)
Contributing Writer, Corporation Capital Tax in Canada, (Toronto: CCH Canadian Limited, 2002)
“Section 231.7: Compliance Orders - A Matter of Strict Compliance”, CCH Canadian Tax Objection and Appeal Procedures Newsletter, December 2003 “Settling Tax Disputes - An Unsettling Proposition”, 2002, vol. X, no. 3, Tax Litigation, 638-641
Co-author with David J. Manoochehri, “Increasing Taxpayer Certainty in Using Partnerships”, Corporate Tax Planning, 2002, vol. 50, no. 1, Canadian Tax Journal, 387-406
“The Canada Customs and Revenue Agency’s Administrative Powers under the Income Tax Act (Canada) and the Canada-United States Income Tax Convention, 1980”, CCH Canadian Tax Objections and Appeal Procedures Newsletter, November 2001
Co-author with Randal T. Hughes and Susan E. Paul, “The Year in Review: Developments in Reviewable Matters and Civil Actions”, Proceedings of the 1999 Competition Law Section Annual Fall Conference (Canadian Bar Association: Ontario, 2000)