Israel – CM C

2025, Cross-border, Update

Country Manual Credits

Israel – Update 2025

out of Credit Institution’s Country of Establishment (RT, BT & Def)

Source of changesAnswers
Law / RegulationYes
New Position of the AuthoritiesNo
Evolution of Expert’s InterpretationNo

Regulatory Template, Behaviour Template and Definitions and Concepts

Material changes

The Country Manual has been reviewed to ensure that the content of all the documents remains accurate and up to date. We can confirm that there have not been any relevant legal or regulatory changes in Israel since the last update, with the exception of the withholding tax rate, which has been reduced from 25% to 23%, aligning it with the corporate income tax rate. Additionally, the definitions of permanent establishment and reporting obligations have been clarified to improve understanding of when income is taxable in Israel and under which circumstances reporting is required.

Non-material changes

Some content has been amended and/or slightly reworded (without introducing material changes) to reflect the regulatory situation/current interpretation of the regulatory framework more accurately.

 

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Geneva, August 12th 2025