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Results:1-10 of 17

Change of a Business Model in Multinational Groups
  • Herzog Fox & Neeman
  • Israel
  • November 8 2018

This is an important update for multinational groups with business activities or affiliates in Israel, and is particularly relevant for groups


Israel Ratifies the MLI
  • Herzog Fox & Neeman
  • Israel
  • October 18 2018

Recently Israel informed the OECD that it has ratified the Multilateral Convention to Implement Tax Treaty Related measures to prevent Base Erosion


New ITA Circulars Dealing with the Taxation of Private Equity and VC Funds, their Investors and Fund Managers
  • Herzog Fox & Neeman
  • USA, Israel
  • March 16 2018

On March 14, 2018, the Israel Tax Authority (the "ITA") issued two circulars (92018 Taxation of Venture Capital Funds and 102018 Taxation of Private


The Rise and Fall of the New Israeli Deemed Distribution Rules to Non-Israeli Affiliates
  • Herzog Fox & Neeman
  • Israel
  • January 22 2018

In our client update of 23 November, 2017 (see here), we informed you about the new Israeli deemed distribution rules, which are set out under the


Israeli Corporate Tax-Reorganization Reform
  • Herzog Fox & Neeman
  • Israel
  • September 6 2017

On August 6, 2017, long-awaited legislation was finally published. This legislation relaxes many restrictive limitations previously imposed by


Retention Mechanisms of Founders and Key Employees (Reverse Vesting and Holdback)
  • Herzog Fox & Neeman
  • Israel
  • June 14 2017

On June 12, 2017, the Israel Tax Authority (the "ITA") published on its website a circular (the "Circular") addressing the tax implications of two


Classification of Foreign Companies as Residents of Israel for Tax Purposes
  • Herzog Fox & Neeman
  • Israel
  • August 18 2016

This is an important update regarding proposed legislation that would classify foreign companies as residents of Israel for tax purposes. Background


Tax Breaks to Encourage Technology Companies in Israel
  • Herzog Fox & Neeman
  • OECD, Israel
  • August 7 2016

Last week, a draft government decision was published as part of the Economic Plan for the years 2017 and 2018 aimed at encouraging the activities of


Tax Treatment of Retention Mechanisms of Founders and Key Employees (Reverse Vesting and Holdback)
  • Herzog Fox & Neeman
  • Israel
  • July 13 2016

Yesterday, July 12, 2016, the Israel Tax Authority (the "ITA") published on its website a draft circular addressing retention mechanisms of founders


Activity of Non-Israeli Companies in Israel through the Internet
  • Herzog Fox & Neeman
  • OECD, Israel
  • April 12 2016

Yesterday, the Israel Tax Authority (the "ITA") published a circular (the "Circular") addressing Israeli taxation of non-Israeli Internet companies (a