| Home Page |
|||||
|
The Doron, Tikotzky, Amir, Mizrahi law firm has offices in Ramat Gan, Haifa and Romania. It is the largest tax firm in Israel, and combines tax, private and commercial law professionalism, including local and international business and services of all measures and sorts. Representing clients with tax, private and commercial disputes, offering them representation and litigation in a variety of courts.
The office, which includes approx. 35 lawyers, economists and accountants, was established by lawyers and accountants from the public sector who practiced Israeli and international tax, private and criminal law. Therefore, the firm includes four main departments: The Commercial Tax Department – deals in tax consulting of private citizens and companies in Israel and abroad and litigation in court and representation to the various tax authorities in all matters. The Criminal Tax Department – accompanies and represents Israelis with criminal tax disputes, whether in an open investigation or in courts. This department has also published the monumental book in the subject of criminal tax law, named \\\\\\\\\\\\\\\"Tax Offences\\\\\\\\\\\\\\\". The Private and Commercial Department – deals in a variety of legal subject, including trades, commercial enterprises, entrepreneur foundation, private litigation, commercial disputes, bank disputes, work law, contracts, family law, torts and much more. The Real Estate Department – deals with many real estate deals, both private and commercial. In a wide range, as elementary deals of home and commercial rent and as far as complex international deals including hundreds and thousands of commercial and private units, and much more. Ramat Gan 12 Hachilazon st, (Crystal House) Tel: 972-03-6127446, Fax: 972-03-6127449 Haifa 58 Hameginim Blvd Tel: 972-04-8526693 Fax: 972-04-8555976 Question about the article ask here: eli-doron@taxlawyers.co.il http://www.adviser.co.il Sort By: Date | Popularity
![]() Israel is a Tax Shelter and is Even Considered a Country Best Fit for Foreign Investments in Israeli Real EstateMany people are unaware of the fact that Israel constitutes a tax shelter, and is even considered most suitable for foreign investments in Israeli real estate.
Every country is interested in attracting investments in any possible channel. ![]() Taxation of Options in Foreign Companies Given to IsraelisOptions in foreign companies that Israelis receive from the employers are extremely valuable. Those holding an option have the right to purchase or sell the subject of the option for a set price. The advantage is that the risk that the value of the subject of the option will decrease lies on behalf of the one who gives the option. ![]() Cyprus Corporate LawThe relevant law dealing with Cyprus’s corporate law is the Cyprus Companies Law, cap. 113. This code is actually an almost identical adoption of the English Companies Act of 1948. As a matter of fact, the English Act has been identically adopted at first, and only later has been modified to a certain extent. The main modifications are attempting to homogenize the Cyprus law and the European Union law. Therefore, the Cyprus corporate code has both European-Continental and English-Common Law char ![]() The Obligation to Report of Foreign CompaniesIn the age of globalization and vast world trade, many Israeli residents invest abroad via offshore companies. Although offshore companies behold many advantages to them, these people should keep in mind that their own revenues, even if derived from the offshore company, are subject to tax in Israel since 2003’s tax reform (in accordance with article 2 of the Israeli Income Tax Code). ![]() Companies: Israeli Residency and TaxationBeginning on January 1st, 2003, Israel has reformed its income tax system, and adopted a new taxation method, based upon personal affinity rather than territorial affinity for Israeli residents. As a result, companies and individuals are now taxed relying on their national residency. For instance, an Israeli resident company is subject to tax upon all of its income (personal affinity), whereas a foreign company is subject to tax only on income derived from inside Israel (territorial affinity). ![]() Artificial BusinessThe Israeli legislature has enacted a legal term of Artificial Business (“business” including “actions”) in the Israeli Tax Code (article 86). The aim of this article is to prevent illegitimate tax avoidance. The scope of discretion is wide, as this article comes to prevent tax avoidance that weren’t expressly prohibited by the tax code. ![]() The Cyprus Tax SystemThe Republic of Cyprus has been an independent country since 1961, after the United Kingdom has enabled it to detach and create a sovereign nation. Since, Cyprus has become a developed commonwealth, with a strong a stable economy, and even joined the European Union on May 1st, 2004, adopting the Euro as its national currency in January 1st, 2008. ![]() A Foreign Occupation CompanyA company that was established outside of Israel and managed from outside her, as well, is a foreign company for tax purposes, exempt from all foreign derived income. However, as the Israeli legislature wished to prevent Israelis, who are subject to tax on foreign derived income, from using the foreign occupation company for tax avoidance, determined that such a company is subject to income tax for the special occupation that in trades in. ![]() All Roads to Privately Purchasing Real Estate Lead to Georgia!!Georgia has over 50 million residents, sprawls over 69,700 square km, and has a semi-republican presidency governmental system. Recently, after overcoming and quieting civil risings, Georgia has won its independence and foreign investment has thrives since. ![]() Exemption From ParticipationOn June 25th 2005, amendment 147 of the revenue tax ordinance was passed, whose purpose was to improve the competitive ability of the Israeli tax system vis-à-vis tax systems world-wide, and as a probable consequence to increase the Israeli market job supply.
|
|||||
|
Article Categories
|
|
||||
|
|
|||||