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Efraim Weinstein Law Offices
The Encouragement of Capital Investments Law, 57191959- (hereinafter: the "Law") is designed to encourage investment in the Israeli industry and there is a dual purpose for its...
Pearl Cohen Zedek Latzer Baratz
The Israeli Ministry of Finance has published proposed significant amendments to the transfer pricing chapters of Israel's legislation for public consultation.
Pearl Cohen Zedek Latzer Baratz
In the third week of October, the District Court in Jerusalem released its decision in connection with the – very tax relevant – difference between a "loan" and a "capital note"...
Yigal Arnon & Co
The Corona crisis continues, and along with it attempts to reduce the economic damage to business.
Pearl Cohen Zedek Latzer Baratz
Following the spread of the Coronavirus in Israel, the Israel tax authorities have published special helpful guidelines regarding the taxation of company car benefits as it pertains to employees...
Yigal Arnon & Co
We continue to update guidelines on state guarantee loans following the Corona crisis, a self-help grant, and relief and other recent tax benefits released by the Tax Authority.
Yigal Arnon & Co
Greetings, we continue to update our Corona Work Guidelines. Listed below are the easements of the Tax Authority, Social Security and the State of Israel...
Pearl Cohen Zedek Latzer Baratz
Tax partner, Henriette Fuchs, leading our Tel Aviv tax department, provides her professional input to author William Hoke of the renowned professional publication "Tax Analysts"...
Pearl Cohen Zedek Latzer Baratz
Henriette Fuchs highlights increasing challenges in relation to intergroup intangible asset transactions in light of recent and progressing case law.
Ziv Sharon & Co
The Harding judgment dealt with an Australian citizen, married with children who received a job offer from a British company stating that he will be stationed in the Middle East.
Pearl Cohen Zedek Latzer Baratz
early July, the Israeli Tax Authority (ITA) issued an update to Form 1385 - "Declaration of International Transaction."
CWalsh Law Offices
At the end of July 2013, the Knesset passed a budget containing significant changes to the property tax regime in Israel, particularly with regard to foreign residents (i.e. those who are not tax resident in Israel).
Pearl Cohen Zedek Latzer Baratz
The stake of foreign investment in Israeli high-tech reached 77% of total capital raised in 2018, and 30 new venture funds were born in 2018
Pearl Cohen Zedek Latzer Baratz
Israel's Finance Ministry and tax authority announced in the last week of April that they intend to introduce a digital sales tax (DST) that may reap some ILS 1 billion ($280 million) for the treasury.
Ziv Sharon & Co
Even with respect to trusts, preparations should be examined at the end of the benefits period.
Ziv Sharon & Co
LLC is a U.S. specific form of a private limited company entity; it has both "corporate" characteristics when it comes to its limited liability, and "partnership" characteristics, when it comes to its tax status.
Pearl Cohen Zedek Latzer Baratz
The Israeli District Court in Lod delivered a landmark decision classifying Bitcoin as an asset subject to capital gains tax.
Pearl Cohen Zedek Latzer Baratz
A seller made NIS 8 million (U$ 2 million) on an investment in Bitcoin in 2013, and he was charged with capital gains tax by the Israeli tax assessor.
Pearl Cohen Zedek Latzer Baratz
That means the founder gets a benefit of $3, from the company, for each stock that is being converted.
Pearl Cohen Zedek Latzer Baratz
Navot said that while the planning for the DST is still in the early stages, he can't rule out the possibility that it will be enacted into law.
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