The New Taxation Plan of the Tax Authority
Dr. Michael Bricker, partner in our firm, interviewed for The Marker newspaper and explained why the Tax Authority’s proposal is harmful and not appropriate for the development centers of foreign multinational companies: “How, for example, do you determine whether an activity creates a unique and valuable contribution? What does is mean when the source of the intangible asset is in Israel? After all, it’s either that the intellectual property is in Israel and then tax is paid on it, or that the tax was paid on it when the activity was sold”. For the full article (Hebrew) click here.