Mondaq All Regions - Israel: Tax
Sharir, Shiv & Co. Law Offices
Taxation A Transaction For The Sale Of A Company's Intellectual Property After The Sale Of Its Shares And The Transfer Of The Activity.
Sharir, Shiv & Co. Law Offices
The District Court of Lod accepted the position of the Israeli Tax Authority and reassessed the value of a transaction to sell all of the intellectual property of a company that was entered into after the sale...
Sharir, Shiv & Co. Law Offices
Taxation Of Options Of A Director.
Sharir, Shiv & Co. Law Offices
בית משפט קבע, כי עלות הענקת אופציות לפי סעיף 102 לפקודת מס הכנסה ("שווי האופציות") הניתנות ל
Barnea & Co
Earlier this month the Central District Court handed down its decision on an appeal involving the taxation of an international sale of intellectual property by Gteko Ltd., an Israeli subsidiary of Microsoft Corporation.
Sharir, Shiv & Co. Law Offices
The Court pointed to case law holding that there is no requirement that payments be classified in the same manner by both payor and payee, or in this case, by both employer and employee.
Sharir, Shiv & Co. Law Offices
As part of a series of incentives designed to encourage IPOs in Israel of R&D companies, Section 102 of the Israeli Income Tax Ordinance ("Section 102") has been amended ("Amendment").
Efraim Weinstein Law Offices
The primary purpose of the Sale Law (Apartments) (Assurance of Investments of Apartments Purchasers) (the "Act") is to secure the consideration paid by purchasers by granting them various securities.
Barnea & Co
What do the United States, the UK, France, Germany, Italy, Spain, Switzerland and the Netherlands all have in common?
Rosenberg Abramovich Schneller
The diamond and precious stones sector for a long time have encountered difficulties in Israel in reporting and regulating undeclared assets, as well as the taxation of the day-to-day business.
Gornitzky & Co.
As part of the approval of Israel's budget for the years 2017-2018, the Israeli Tax Authority published an initial draft of its proposed legislative tax initiatives at the beginning of August.
Gornitzky & Co.
In August 2016, the ITA published an addendum to the Circular.
Gornitzky & Co.
In 2006, special regulations were enacted, providing an exhaustive list of tax planning acts that must be reported to the Israel Tax Authority.
Gross, Kleinhendler, Hodak, Halevy, Greenberg & Co.
In recent years, several multinationals began granting equity-based rights in Luxembourgian SCAs (société en commandite par actions), which are essentially partnerships limited by shares.
Barnea & Co
What do the United States, the UK, France, Germany, Italy, Spain, Switzerland and the Netherlands all have in common? In these countries (and many others), estate tax is collected on large inheritances.
Gross, Kleinhendler, Hodak, Halevy, Greenberg & Co.
In recent years, several multinationals began granting equity-based rights in Luxembourgian SCAs (société en commandite par actions), which are essentially partnerships limited by shares.
Yigal Arnon & Co
Prior to the issuance of the Draft Circular, there were concerns that the sale of shares that were at any time subject to Reverse Vesting would be taxed at ordinary income tax rates.
S Horowitz & Co
There is no importance for this purpose whether the non-compete was paid exactly in the end of the employment relationship or at a later point of time. However, the employee has the right to try refuting this presumption.
Meitar Liquornik Geva Leshem Tal
The Israeli Tax Authority has recently published a circular which sets forth in detail the ITA's interpretation of Israeli tax law regarding the taxation of trusts, settlors and beneficiaries.
Fischer Behar Chen Well Orion & Co
As part of its continuing efforts to develop legislation regarding the taxation of non-Israeli persons providing digital services in Israel, the Israel Tax Authority recently published....
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Meitar Liquornik Geva Leshem Tal
The Israeli Tax Authority has recently published a circular which sets forth in detail the ITA's interpretation of Israeli tax law regarding the taxation of trusts, settlors and beneficiaries.
Barnea & Co
The new law prescribes that, as of January 1, 2017, every taxpayer must pay tax annually (January through December) for every residential apartment that he owns in excess of two apartments...
Yigal Arnon & Co
Prior to the issuance of the Draft Circular, there were concerns that the sale of shares that were at any time subject to Reverse Vesting would be taxed at ordinary income tax rates.
Dave Wolf & Co
Tax in Israel - Are you working in Israel? What do you need to know about personal Income Tax in Israel?
Barnea & Co
The Provision of an Electronic Service is defined as providing a service, including the sale of intangible goods, via the internet, including, inter alia, software, books, music, gambling, games...
Gross, Kleinhendler, Hodak, Halevy, Greenberg & Co.
In recent years, several multinationals began granting equity-based rights in Luxembourgian SCAs (société en commandite par actions), which are essentially partnerships limited by shares.
Gornitzky & Co.
As part of the approval of Israel's budget for the years 2017-2018, the Israeli Tax Authority published an initial draft of its proposed legislative tax initiatives at the beginning of August.
Barnea & Co
In the world of high tech and Israeli tax there has been some uncertainty as to whether entrepreneurs, whose shares are subject to a reverse vesting mechanism or a holdback upon their sale, should be paying income or capital gains tax.
Barnea & Co
The original draft bill was softened and even sweetened for a particular period by the Finance Committee.
Barnea & Co
An amendment to the Income Tax Ordinance that was recently enacted obligates financial institutions to identify the residency and citizenship of their foreign account holders.
Rosenberg Abramovich Schneller
The diamond and precious stones sector for a long time have encountered difficulties in Israel in reporting and regulating undeclared assets, as well as the taxation of the day-to-day business.
Sharir, Shiv & Co. Law Offices
The District Court of Lod accepted the position of the Israeli Tax Authority and reassessed the value of a transaction to sell all of the intellectual property of a company that was entered into after the sale...
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