The global spread of the Covid-19 pandemic has caused many foreign or former Israeli-residents to find themselves temporarily staying in Israel until the situation pacifies; however, their prolong stay in Israel might expose them to the claim that they are “residents of Israel” for tax purposes.
Adv. Daniel Paserman (CPA) TEP, Head of Tax, and partner Inbar Barak-Bilu (CPA) TEP, together with associate Moran Ben Dayan (CPA) review in this client update the exposure that the stay of an individual in Israel during the Covid-19 period will result in Israeli tax implications.