This product provides a discussion of the similarities and differences between U.S. and Canadian securities regulation and successful legal strategies for cross-border compliance. Featuring partners and chairs from some of Canada's leading law firms, this book guides the reader through the Multijurisdictional Disclosure System and Sarbanes-Oxley and discusses the ways in which this legislation affects cross-border corporate relationships. Comparing and contrasting the approaches of each country's securities compliance framework, it offers advice on understanding both systems and assisting clients in these countries with international business transactions.