Treaty between Israel and Belgium: Israeli District Court decides domestic anti-avoidance rules may deny treaty benefits
An Israeli District Court rejected an interim request by a tax payer that domestic anti-avoidance rules may prevail over the protection that a double tax treaty offers(Ruling Yanko-Weiss Holdings (1996) Ltd. v. Holon Assessment Officer (No. 5663/07) 30 December 2007).
A company incorporated in Israel in 1996 was registered in Belgium in 1999. Belgium is a tax trea…
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