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04 December 2018
On 4 May 2014 an inter-ministerial committee was set up to promote the establishment of publicly traded funds for investment in infrastructure. The committee was formed to examine and recommend measures and actions that would encourage the establishment of traded infrastructure funds in order to:
To that end, the committee has recommended certain tax benefits and restrictions as outlined below.(1)
Founders and investors should consult with an Israeli tax specialist when contemplating the formation of, or investment in, such traded infrastructure funds.
Tax and corporate governance model
The committee generally recommends adopting a real estate investment trust (REIT)-based model, whereby there is only one level of taxation: taxation of the fund's shareholders – notwithstanding the fact that the fund will be formed as an Israeli corporation. However, the classification and calculation of the fund's income will be determined at the fund's level. The proposed corporate governance model of the fund is also based on the REIT model (ie, for a fund with no controlling shareholder, applying the 'five or fewer' rule, which limits the aggregate holdings of the five largest shareholders to less than 50%).
Pension funds and non-Israeli investors
The committee has proposed to generally exempt pension funds from their fund's income, regardless of the nature and classification of such income by the fund. With respect to non-Israeli investors, it proposes that ongoing income from the fund will be subject to tax in Israel, but will not create filing obligations.
Assets contribution in exchange for fund's shares
The committee has proposed that, in general, a contribution of assets to the fund in exchange for the fund's shares will benefit the fund with a reduced purchase tax rate and the contributor with a deferral in respect of its capital gains.
Offsetting tax losses and foreign tax credits
Certain restrictions have been proposed with respect to offsetting the fund's losses and with respect to foreign tax credits.
For further information on this topic please contact Anat Shavit or Yuval Peled at Fischer Behar Chen Well Orion & Co by telephone (+972 3 694 4111) or email (email@example.com or firstname.lastname@example.org). The Fischer Behar Chen Well Orion & Co website can be accessed at www.fbclawyers.com.
(1) For the full report in Hebrew, please see here.
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