3
Shared Docs
3
Same-Page
3 / 3
Mentions
the exchange of Shares pursuant to the offer or pursuant to the Post-Offer Reorganization will generally constitute U.S.-source income. 58 Certain Israeli Tax Aspects of the Offer and Post-Offer Reorganization. The following is a summary of certain Israeli tax consequences of the Offer and the Post-Offer Reorgani
to the Offer or whose Shares are not tendered but who receive cash in the Post-Offer Reorganization. The summary is based on current provisions of the Israel Income Tax Ordinance (New Version). 5721 — 1961 (the "Ordinance"). and regulations thereunder and administrative and judicial interpretations thereof, all of which are subject to cha
the exchange of Shares pursuant to the offer or pursuant to the Post-Offer Reorganization will generally constitute U.S.-source income. 58 Certain Israeli Tax Aspects of the Offer and Post-Offer Reorganization. The following is a summary of certain Israeli tax consequences of the Offer and the Post-Offer Reorgani
to the Offer or whose Shares are not tendered but who receive cash in the Post-Offer Reorganization. The summary is based on current provisions of the Israel Income Tax Ordinance (New Version). 5721 — 1961 (the "Ordinance"). and regulations thereunder and administrative and judicial interpretations thereof, all of which are subject to cha
the exchange of Shares pursuant to the offer or pursuant to the Post-Offer Reorganization will generally constitute U.S.-source income. 58 Certain Israeli Tax Aspects of the Offer and Post-Offer Reorganization. The following is a summary of certain Israeli tax consequences of the Offer and the Post-Offer Reorgani
to the Offer or whose Shares are not tendered but who receive cash in the Post-Offer Reorganization. The summary is based on current provisions of the Israel Income Tax Ordinance (New Version). 5721 — 1961 (the "Ordinance"). and regulations thereunder and administrative and judicial interpretations thereof, all of which are subject to cha
Entities connected to both Israeli Tax Aspects and the Israel Income Tax Ordinance (New Version