Bar Refaeli’s Tax Fight Helps Prompt Israel to Redefine Residency.
“Individuals who gradually reduce their presence in Israel over three years might still be deemed tax residents by the authorities even though they spent less than 183 days in the country in each of those years and had moved their home, family, and employment abroad at the start of the period”.
Daniel Paserman (CPA), head of tax at our firm, was interviewed by Matthew Kalman for Bloomberg BNA regarding the current criteria for residency which are open to broad interpretation, according to tax authorities.
February 11, 2019