Gain practical insights into the tax treatment of US and Canadian retirement schemes for clients through practical examples covering key features of schemes including, US Traditional and Roth IRAs, and Canadian RRSPs and RRIFs. We will apply the articles of the relevant Double Tax Agreement and discuss strategies to optimize tax outcomes across both countries.
Are you an accountant or tax adviser with clients holding US or Canadian retirement schemes—such as Roth or Traditional IRAs, RRSPs, or RRIFs? Whether your clients are recent migrants or long-term expats, understanding the New Zealand tax treatment of these schemes is critical—and presents a valuable opportunity to provide informed, strategic advice.
In this webinar, we’ll break down:
Attendees will gain a clear understanding of:
Tax specialists and accountants at a client-facing and review level (managers and above).
Alex Cull, Partner, Greenhawk Chartered Accountants
With 15 years of tax expertise, Alex has built a career spanning the Big Four, Inland Revenue, and mid-tier firms. Now a tax partner at Greenhawk, Alex provides guidance to accountants, SME businesses, and high-net-worth individuals.
1.25 CPD Hours