A new procedure for voluntary disclosure – probably the last chance
A last-minute declaration of the Tax Authority's position on taxation of "virtual currencies"
Sale by a new immigrant or returning resident of shares in a foreign company, part of whose value is derived from Israeli assets
Business investments – insight from taxation decisions on the subject of permanent establishment for foreign investors
Probably the last chance - new voluntary disclosure procedure
Cancelling the requirement for deduction at source for certain transfers of funds abroad
Should foreign companies profiting from sale of real estate and shares be counted as CFCs?
CFC aspects in a hybrid loan
Obligation to file a return by anyone considered an Israeli resident according to the substantial presence test and claiming to be a foreign resident
Foreign residents’ liability to surtax
Taxation of options allocated to relocated employees - tax ruling
Taxation aspects with regard to a gift from a foreign resident father to a new immigrant son
Change in Israel Tax Authority’s position - taxation of foreign income in the hands of a returning resident - shall be taxed on a cash basis
Agency, implied trust, and implied partnership
Issues in attributing income of a foreign company to Israel
Taxation of debit balances, owner’s withdrawal and shareholder’s use of company assets
Update on forthcoming changes in tax legislation
Trusts: "Once a Beneficiary, Always a Beneficiary?"
Residency: Emphases for management and control tests
Tax Treaties: Internal tax laws versus treaty provisions