Uncertainty Continues: Buyer Beware – Post-Acquisition Changes and inter-company Agreements by an Israeli Target Ruled to be a Taxable Sale of its Assets
The full update is available here or through the PDF icon.
The full update is available here or through the PDF icon.
The full update is available here or through the PDF icon.
Dr. Michael Bricker, Maor Hakak and Noa Haimi from our firm’s Tax Department are discussing this important issue in a first of a kind article. The full article (Hebrew) is available through the PDF icon.