ISRAEL COUNTRY REPORT. By: Alon Kaplan, Adv., Tel Aviv, Israel. Shai Dover, C.P.A (Isr.), Rosh Pinna, Israel

Similar documents
Jersey solutions for Israeli residents; and - Is Israel the next Silicon Valley?

Guide to the Israeli Taxation of Offshore Trusts

Jersey solutions for Israeli residents; and - Is Israel the next Silicon Valley?

Private Clients, Trusts and Estates

Tax Desk Book. ISRAEL S. Horowitz & Co

The New York State Bar Association International Section. The Committee for Private International Law of the Israel Bar Association

STEP Israel Annual Conference

Advisory. Will and estate planning considerations for Canadians with U.S. connections

Meritas Capability Webinar U.S. Tax and Estate Planning for Foreign Persons

I. Summary. A. Types of Organizations. Table of Contents. Country Note: Israel. Current as of August 2013 Download print version (in PDF)

International Tax Israel Highlights 2018

Canadians with International Assets

Lecturer: Guy Katz, Adv. CPA. Tax Partner, Herzog, Fox and Neeman, Tel Aviv Tel: +972 (0)

Comments related to any information in this Note should be addressed to Mai El-Sadany.

Comments related to any information in this Note should be addressed to Lily Liu.

International Trade and/or Investment Affords Opportunities

STEP Israel Annual Conference

C Y P R U S SYNOPSIS. The main features of the Cyprus tax regime are as follows:

STEP ISRAEL 20TH ANNUAL CONFERENCE DAN TEL AVIV HOTEL JUNE 19-20, 2018

2600 N. Military Trail, Suite 206, Boca Raton, Florida Tel

Accuro 19 April 2018 Page 1 CROSS BORDER SUCCESSION PLANNING. WHY DO I NEED A UK/US/EUROPEAN WILL?

FOCUS INTERNATIONAL. October 2015 Cyprus edition. New legislation opens Cyprus for more business. Cyprus citizenship and residency schemes

International Tax Colombia Highlights 2018

Response to EU Commission DG Tax consultation on double non-taxation. Question -You could be included in one of the following groups:

U.S. TAX PRINCIPLES THAT AFFECT U.S. PERSONS LIVING ABROAD. By Pamela Perez-Cuvit LL.M Madrid, May 26th 2016

ALIYAH FROM THE USA. STEP ISRAEL Annual Conference Tel Aviv, Israel June 20, 21, 2017

Memorandum. LeBlanc & Young Clients DATE: January 2017 SUBJECT: Primer on Transfer Taxes. 1. Overview of Federal Transfer Tax System

TAX CONSEQUENCES FOR U.S. CITIZENS AND OTHER U.S. PERSONS LIVING IN CANADA

U.S. Citizens Living in Canada

SPECIAL TAX REGIMES IN PORTUGAL: THE NON-HABITUAL TAX RESIDENT REGIME

Ghana Tax Guide 2012

HM REVENUE & CUSTOMS. Consultation Document: A new incentive for charitable legacies. Publication date: 10 June 2011

International Tax Chile Highlights 2018

Top 10 Tax Issues facing U.S. Citizens living in Canada

Now, Cyprus has further reinforced another aspect of its allure: that of personal taxation.

Israel A Freindly Tax Collector?

SUPPLEMENTARY PEER REVIEW REPORT Phase 2 Implementation of the Standard in Practice ISRAEL

International Tax. Environments. Chapter Outline. Tax Neutrality INTERNATIONAL INTERNATIONAL FINANCIAL MANAGEMENT FINANCIAL MANAGEMENT

A comparison of the Form filing requirements and the Form 8938 filing requirements follows:

Switzerland. Investment basics

Finance Act 2012: Discretionary Trust Tax

CYPRUS COMPANIES INFORMATION

Swiss Lump Sum Taxation

tes for Guidance Taxes Consolidation Act 1997 Finance Act 2017 Edition - Part 35

I. Basic Rules. Planning for the Non- Citizen Spouse: Tips and Traps 2/25/2016. Zena M. Tamler. March 11, 2016 New York, New York

WHAT SHOULD I DO ABOUT TAX WHEN SOMEONE DIES (August 2009)

Beverly Hills Bar Association Trusts & Estate Section September 2018 Legal Updates

Japan. International Estate Planning Guide. Individual Tax and Private Client Committee. Contact: Shimon Takagi. White & Case LLP Tokyo, Japan

PERSONAL TAXATION. Matthew Marcarian CST Tax Advisors

ESTATE EVALUATION. John and Jane Doe

The Netherlands. Arcagna Attorneys at Law & Tax Advisers Arnold van der Smeede

Greece. Capital city: Athens. GDP/capita 2015: USD Telephone code: +30. Language: Greek. National day: March 25th and october 28th

TAX PLANNING FOR THE FOREIGN REAL ESTATE INVESTOR

ESTATE & TRUST CONSIDER UTILIZING YOUR LIFETIME GIFT EXEMPTION BY FUNDING A SPOUSAL LIFETIME ACCESS TRUST BE IN A POSITION OF STRENGTH SM

Financial Planning for Canadian Expatriates living in Ireland. White Paper Series

Setting up your Business in BVI Issues to consider

Why Cyprus: Country Tax Profile

"US recipients of gifts and bequests from Covered Expatriates will now incur gift and estate tax"

United Kingdom. I. Taxes on Corporate Income

Mauritius Taxes Overview

MENZIES.CO.UK. A Guide for individuals Coming to the UK

Overview of Italy s Tax Provisions on Trusts

TECHNICAL EXPLANATION OF H.R

REVISED FOR 2004 REPORTING YEAR

Pre-Immigration Tax Planning

Country Tax Guide.

... A guide to the suitability of offshore bonds for UK professional advisers. Summary of the Budget Measures

U.S. Estate Tax and High Net Worth Canadians: Determining if You Have Any Liability

FINLAND TAX DESKBOOK

Setting up your Business in Thailand Issues to consider

Guide to Capital Acquisitions Tax Interventions

Double Taxation Relief

A Guide to Estate Planning

Chapter 4 Taxation of Investors and Investments. 16 questions

Offshore trusts. Publication - 20/04/2016

Tackling EU cross-border inheritance tax obstacles Frequently Asked Questions

IRS Confirms Safety of QTIP and Portability Elections. by Vanessa L. Kanaga and Letha Sgritta McDowell, CELA 1.

U.S. tax reforms prevention of base erosion. S. Krishnan

The US Ireland Connection John Gill and Lydia McCormack

TAX AND SUCCESSION PLANNING AFRICA

EDWARD L. PERKINS, BA, JD, LLM (Tax), CPA Partner - Gibson&Perkins, PC Suite W Sixth St Media, PA Adjunct Professor - Villanova Law

Cyprus - Iran. The gateway to Iranian business

1.408A-6 Distributions

Residence, Domicile and the Remittance Basis

Mark A. Feigenbaum U.S. Attorney at Law Certified Public Accountant (U.S.) Chartered Accountant (Canada)

PAPER 2.07 MALTA OPTION

Controlled Foreign Corp. Restructuring For US Taxpayers By Carl Merino and Dina Kapur Sanna (August 13, 2018, 12:48 PM EDT)

Holding Companies in Cyprus

PORTABILITY OF THE FEDERAL ESTATE TAX EXEMPTION AFTER THE TEMPORARY REGULATIONS. Wednesday, December 19, 2012

WILL WITH TESTAMENTARY TRUST

1. Short overview of the Company Tax. Residence of Companies. The substance requirement can be described as follows :

ESTATE PLANNING BASICS

Summary Tax Liabilities for Bonds and Collectives

FREQUENTLY ASKED QUESTIONS ON THE DEFERRED RETIREMENT OPTION PROGRAM (DROP) LAKE WORTH FIREFIGHTERS PENSION FUND

TAXATION OF PROFESSIONAL SPORTS PEOPLE

British Virgin Islands Trusts

Impact of recent U.S. tax legislation on Israeli Companies May 13, 2008 Doron Sadan, Tax Partner, PwC Israel Tel:

NEW ZEALAND LEGAL. Israel Vaealiki Jackson Russell Lawyers

CHAPTER 1 INTRODUCTION TO TRUSTS

PAPER 2.03 CYPRUS OPTION

Transcription:

ISRAEL COUNTRY REPORT By: Alon Kaplan, Adv., Tel Aviv, Israel. Shai Dover, C.P.A (Isr.), Rosh Pinna, Israel I. Introduction The modern State of Israel is a small country, about the size of Belgium or the state of New Jersey. On the eve of the country s 57 th Independence Day, Israel s population was 6.9 million, eight and a half times the country s population on the eve of the Declaration of Independence in 1948. Located on the eastern shore of the Mediterranean Sea, Israel is at the crossroads of Europe, Asia and Africa, and maintains important political and economic ties with North America. Although located in the Middle East, Israel is culturally a European country with a secular democratic government and a legal system based on Anglo-American traditions. Israel leads the Middle East region in gross domestic product, per-capita income, high-tech industry, technology transfer, and telecommunications. The Israeli business scene is heavily based on international commercial activity. While Israel is not a tax shelter in the same manner as the Cayman Islands, the Israeli government makes a strong effort to encourage foreign investment and trade. While locals face a heavy tax burden, Israel provides generous tax exemptions for new immigrants and foreign investors. II. Banking Israel maintains a modern computerized banking system. Most banks provide private banking services and keep special centers for tourists and foreign investors. The five large Israeli banks have branches and subsidiaries in Europe and the United States and representative offices in various other countries. III. Law of Inheritance Israeli inheritance law is generally governed by the Succession Law of 1965. It is the intent of this Law that matters of succession be governed, as far as possible, by the deceased s last will and testament. There is no limitation upon the right to bequeath and the Law does not mandate a specific portion to family members. It does, however, protect the surviving spouse (as long as he or she remains single), children and dependent parents, by providing for maintenance payments from the estate. Israeli courts have jurisdiction over people who, at the time of death, were domiciled or left assets in Israel. A person can inherit either under a will or by law where no valid will exist.

IV. Law of Trust The trust institution has been recognized under the Israeli legal system since the 1920s. The enactment in 1923 of the Charitable Trusts Ordinance set the rules for a public trust. The private trust, on the other hand, was not regulated by statute until 1979, when the Trust Law was enacted. Nevertheless, the Supreme Court held that the concept of trust existed in Israel even prior to that date. After the enactment of the Trust Law, the courts no longer needed to rely on foreign laws, which formed the basis for the recognition of the trust before 1979. However, there remains a strong connection between the Israeli and Anglo-American systems in this field and a great resemblance between the trust institutions of these legal systems. An Israeli trust has several specific features. The trustee is endowed with control over the assets, although there are no particular conditions as to the manner of control. A common means of control is acquired through title to the trust assets passing to the trustee. The trustee may, however, be vested with control over the assets by being empowered to deal with them, whether as an agent or otherwise. A trustee is deemed to have control if he can, by his acts, affect the way in which the trust assets will be dealt, whether they are distributed, invested, or exchanged for other assets. The trustee must exercise his control over the assets for the attainment of the purpose of the trust. A trust will be valid and enforceable where there is a definite beneficiary. It will also be valid where there is no definite beneficiary, as long as there is some purpose to the trust. One peculiar feature of the Trust law is that it does not permit skipping generations, i.e. one cannot create a trust that will survive the life beneficiary for the benefit of his successor and a valid will and probate will be required. V. Taxation The subject of taxation in Israel is very complex. The following describes a few aspects of taxation which are relevant to foreign investors. Tax System Israel, in general, imposes tax on Israel source income, that is, income accruing in or derived from Israel, (the territorial basis ). This general principle is applicable to both resident and non-resident persons. Residents are also subject to tax on their world wide income Companies in Israel are generally subject to company tax on their profits, at the rate of 34% on taxable income (to be reduced to 31% in 2006, 29% in 2007, 27% in 2008, 26% in 2009 until it will reach 25% in 2010). Distributed profits after company tax are subject to dividend withholding tax at rates of up to 25% in the case of individual and non-resident shareholders Interest and royalties are also generally liable to

withholding tax of 25% unless reduced by a tax treaty (starting January 1 st 2006 the rates will be 20% for a share holder who is not considered a "substantial shares holder"). Lower tax rates and other benefits are applicable under Israel s investment incentive legislation.. Israeli Tax Reforms On July 24 th 2002, the Israeli Knesset (Parliament) passed the Law for the Amendment of the Income Tax Ordinance. Until the end of 2002 the Israeli tax system was based on the territorial principle, i.e., income liable for tax in Israel was income that was accrued or received in Israel. The new legislation set the principle of personal global taxation which determines tax liability for an Israeli resident, whether the income is accrued or received in Israel or abroad. The new Tax rules became effective on January 1 st 2003. In August 10 th 2004 another "minireform" was legislated. It will become effective in January 1 st 2006. This minireform deals with taxation of trusts, Underlying companies, pre ruling, participation exemptions, exemption for foreign residents from tax on capital gains from the sell of shares, establishment of Real Estate Investment Trusts in Israel, and more. The minireform also decreases the tax rates on individuals and companies on various types of incomes. Foreign Residents Foreign residents enjoy a range of tax benefits such as the law for encouragement of capital investment, exemptions for trusts, participation exemption and more, all aimed to attract foreign investors. Foreign residents who are not resident in Israel or are not doing business in Israel, will in principle, continue to enjoy a range of exemptions which cover income from passive investments in Israeli banks. However, foreign residents will be subject to tax on capital gains derived from Israeli assets, except for gains in stock market equities and sale of shares of private Israeli company and provided other conditions are fulfilled. Israeli Residents In principle, the purpose of the 2002 reform was to reduce the personal tax rates, including social security payments, from a maximum rate of about 60% to a lower rate of 49% including social security payments. Israeli residents, on the other hand, will pay tax on worldwide income, even if the income is received from assets located abroad, and even if the funds received overseas are not transferred to Israel.

The change to personal taxation in Israel includes stock exchange taxation, which was previously exempt. Other taxes Value Added Tax (VAT) is generally imposed on transactions conducted in Israel, as well as on transactions relating to assets or activities in Israel and imports. The standard rate of VAT in Israel is currently 16.5%, but exports are generally zero-rated. Special provisions apply to financial institutions and non-profit bodies. Israel has no inheritance or gift tax. Double Taxation Relief Israel is a party to almost 40 double taxation treaties. The foreign investor who takes advantage of double taxation treaties can often withdraw profits earned in Israel under favorable tax treatment. Where a taxpayer is taxable both in Israel and abroad in respect of the same income, double taxation relief may be available either in accordance with a bilateral tax treaty (convention) or, in certain cases, unilaterally. In general, double taxation relief may take the form of a credit for overseas taxes (the credit method). Many of Israel s tax treaties allow investors to take a full foreign tax credit, even if the rate has been reduced in Israel, as an investment incentive under the Encouragement of Capital Investments Law. This is known as tax sparing relief. Alternatively, double tax relief may take the form of an exemption in the source country where income or gains arise, or in the taxpayer s country of fiscal residency (the exemption method of double tax relief). In all cases, reference should be made to individual treaties (where applicable) and to local legislation to ascertain the exact details of the double taxation relief afforded and the conditions attaching thereto. VII. Conclusion Israel is a small and young country yet it has a strong economy, a modern banking system, an educated population and laws aimed at attracting foreign investors. The Israeli tax system has undergone a complete overhaul in the past few years, most recently, the taxation of trusts. This taxation of trusts law is intended to close certain lacunas with respect to Israeli residents but to maintain Israel s policy of providing certain benefits to foreign residents. Further, the underlying company may be advantageous to certain foreign residents as an investment vehicle for income derived from sources outside Israel. Israel may be the right venue for certain foreign residents to form their financial planning center. It is important for each prospective investor to consult with Israeli professionals prior to commencing any activities in Israel as each

set of facts should be reviewed separately. This article provides a general overview only, is not intended to provide legal advice to any party and therefore should not be relied upon without independent professional advice... ALON KAPLAN Alon Kaplan, LL.M. practices as an Advocate in Tel Aviv. Mr. Kaplan is a member of the New York Bar and practices law in Germany as a Rechtsbeistand. Mr. Kaplan is the Chairman of the Israeli branch of STEP, the Society of Trust and Estate Practitioners as well as a Council Member of STEP. Mr. Kaplan is the General Editor of: Israeli Law and Business Guide; Kluwer 1994. Israeli Business Law An Essential Guide; Kluwer 1999 Trusts in Prime Jurisdictions; Kluwer 2000 Israelisches Wirtschaftsrect - published by Oldenbourg Verlag, Munich SHAI DOVER Shai Dover, CPA(Isr), MBA, TEP was a National Tax Inspector employed by the Income Tax Authority until 31st December 2004. Mr. Dover was involved in a variety of domestic and international tax aspects including New residents, Tax Treaties, CFC's, Withholding Taxes, Transfer Pricing and other various tax matters. Mr. Dover, of Shai Dover accounting firm, was the Secretary of the Public Committee for the Taxation of Trusts. This article was published with various changes in: Trusts & trustees: http://www.trusts-and-trustees.com/featured_articles/fa_13_10_05.html Israel-America chamber of commerce: http://www.amcham.co.il/main/sitenew/index.php?page=41&action=sidlink&stid= 284 American Bar association

**This article is updated to November 9, 2005**