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Tax / International Taxation

Our firm is a base for foreign companies and investors seeking counsel on complex taxation issues, particularly regarding investments and activity in Israel.

We provide legal and tax counselling for all types of transactions: mergers and acquisitions, joint ventures, restructuring, financing transactions and outsourcing, both local and international.

 

Clients enjoy our expertise in cross-border activities and our accompanying knowledge of international taxation. We advise on such matters as merger and acquisition deals with cross-border structures, international tax planning, international tax treaties, and the tax aspects following the relocation of senior executives to and from Israel.

 

Our Tax Department possesses vast experience in the planning of international tax structures while also taking into account the provisions of relevant tax treaties (double tax treaties, CRS, BEPS, FATCA, and more). We counsel clients on transfer pricing and the drawing up of agreements relating to it. We also advise on the exposures of creating a permanent establishment, withholding tax, tax applicable to foreign residents and international companies, imports of services and assets, tangibles and intangibles, and filings. In addition, we represent clients during applications for pre-rulings from the tax authorities.

The guidance we offer clients on complying with administrative tax proceedings is given with a long-term vision for the benefit of our clients and with an eye to their strategic and business planning.

 

Our Tax Department works in close coordination with the Corporate Department to ensure its consolidated taxation solutions do not expose the corporation or shareholder at the corporate or tax level.

 

Back to Tax

Insights & News - Tax / International Taxation:


November 7, 2024

Navigating Tax Challenges in Startups

May 13, 2024

Tax: Classification of Intercompany Transactions

April 1, 2024

Draft Bill: Increasing Transparency in Israeli Tax Law

Tax / International Taxation

Our firm is a base for foreign companies and investors seeking counsel on complex taxation issues, particularly regarding investments and activity in Israel.

We provide legal and tax counselling for all types of transactions: mergers and acquisitions, joint ventures, restructuring, financing transactions and outsourcing, both local and international.

 

Clients enjoy our expertise in cross-border activities and our accompanying knowledge of international taxation. We advise on such matters as merger and acquisition deals with cross-border structures, international tax planning, international tax treaties, and the tax aspects following the relocation of senior executives to and from Israel.

 

Our Tax Department possesses vast experience in the planning of international tax structures while also taking into account the provisions of relevant tax treaties (double tax treaties, CRS, BEPS, FATCA, and more). We counsel clients on transfer pricing and the drawing up of agreements relating to it. We also advise on the exposures of creating a permanent establishment, withholding tax, tax applicable to foreign residents and international companies, imports of services and assets, tangibles and intangibles, and filings. In addition, we represent clients during applications for pre-rulings from the tax authorities.

The guidance we offer clients on complying with administrative tax proceedings is given with a long-term vision for the benefit of our clients and with an eye to their strategic and business planning.

 

Our Tax Department works in close coordination with the Corporate Department to ensure its consolidated taxation solutions do not expose the corporation or shareholder at the corporate or tax level.

 

Back to Tax

Insights & News:


November 7, 2024

Navigating Tax Challenges in Startups

May 13, 2024

Tax: Classification of Intercompany Transactions

April 1, 2024

Draft Bill: Increasing Transparency in Israeli Tax Law