Tax rescue: Delisle and Tremblay win!.
Mr. Delisle and Mr. Tremblay successfully represented a businessman who was assessed over $30 million in taxable benefits by the tax authorities, thereby cancelling the said a...
Individuals and businesses alike can rely on Julie’s advice in various disputes with tax authorities, including income and commodity (GST/QST) tax disputes. Her early career at Revenu Québec gave her a unique understanding of the organization, which she strategically uses to her advantage to help clients navigate administrative tax procedures, including voluntary disclosure, tax audits and objections. As the head of the Tax Litigation sector, Julie has substantial experience in negotiation and dispute resolution.
She has also pleaded several cases before courts of competent, including the Tax Court of Canada the Court of Québec and the Court of Appeal. Moreover, she has also been involved in many criminal tax cases, both in trials and in Jordan-and Jarvis-type preliminary motions.
With a keen interest in the risks and opportunities associated with blockchain technology, the tax implications of buying and selling non-fungible tokens (NFTs), cryptocurrency and other fungible token transactions, Julie can help you navigate the fiscal implications of blockchain technology supported assets.
Julie is also mindful of the fiscal and legal challenges arising from being a member of a decentralized autonomous organization (DAO).
In addition to her work, she teaches a commodity tax course at the Université de Sherbrooke and is involved in the Association de planification fiscale et financière (APFF).
Individuals and businesses alike can rely on Julie’s advice in various disputes with tax authorities, including income and commodity (GST/QST) tax disputes. Her early career at Revenu Québec gave her a unique understanding of the organization, which she strategically uses to her advantage to help clients navigate administrative tax procedures, including voluntary disclosure, tax audits and objections. As the head of the Tax Litigation sector, Julie has substantial experience in negotiation and dispute resolution.
She has also pleaded several cases before courts of competent, including the Tax Court of Canada the Court of Québec and the Court of Appeal. Moreover, she has also been involved in many criminal tax cases, both in trials and in Jordan-and Jarvis-type preliminary motions.
With a keen interest in the risks and opportunities associated with blockchain technology, the tax implications of buying and selling non-fungible tokens (NFTs), cryptocurrency and other fungible token transactions, Julie can help you navigate the fiscal implications of blockchain technology supported assets.
Julie is also mindful of the fiscal and legal challenges arising from being a member of a decentralized autonomous organization (DAO).
In addition to her work, she teaches a commodity tax course at the Université de Sherbrooke and is involved in the Association de planification fiscale et financière (APFF).
Mr. Delisle and Mr. Tremblay successfully represented a businessman who was assessed over $30 million in taxable benefits by the tax authorities, thereby cancelling the said a...
Julie Tremblay, Head of the Tax Litigation Group and Partner, successfully represented a corporation and its shareholder before the Court of Appeal of Quebec. She sought to ha...
During an administrative review with the Canada Revenue Agency, Julie Tremblay, Head of the Tax Litigation Group and Partner, successfully represented trusts that had original...
Julie Tremblay, Head of the Tax Litigation Group and Partner, successfully represented a company before the Tax Court of Canada in a case about the zero-rating of goods delive...
Best Lawyers in Canada®
Tax Law – 2022, 2023
Master Degree, Tax Law
HEC Montréal, 2015
D.E.S.S. Taxation
HEC Montréal, 2015
LL. B.
Université de Montréal, 2010
Certificate in Advertising
Université de Montréal, 2007
Member, Association de planification fiscale et financière
Member, Barreau du Québec
Member, Jeune Barreau de Montréal
Former member, Committee of Liaison with the Court of Québec, Barreau de Montréal
Chair since June 2016, Groupe d’aide et d’information sur le harcèlement sexuel au travail de la province de Québec inc.
Board Member from April 2013 to June 2016, Groupe d’aide et d’information sur le harcèlement sexuel au travail de la province de Québec inc.
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Did you know that the limitation periods for the Canada Revenue Agency to reassess a taxpayer could be extended by 6 months? By or...
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Montréal, September 17, 2017 – The complexity of penal taxation in Québec and Canada is finally unraveled by two of our experienced lawyers, Martin Del...
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