Peter’s practice focuses on tax litigation, with particular focus on transfer pricing, international tax and tax structuring matters. He was extensively involved as counsel in the recent Cameco Corporation case, the largest transfer pricing case decided by the Tax Court of Canada, and recently heard at the Federal Court of Appeal. He also appeared recently at the Federal Court and Federal Court of Appeal as counsel regarding the ability of the Canada Revenue Agency to compel oral interviews of taxpayers during an audit. Peter has significant experience representing clients during tax audits and objections, including making successful submissions on behalf of clients to the Transfer Pricing Review Committee. As part of transfer pricing files, Peter has experience with advising clients concerning audit and litigation strategies, competent authority applications and collections matters.