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with respect to gain recognized on any sale or exchange of such Shares, including an exchange of such Shares pursuant to the Offer. unless such US. Holder has in effect certain elections, such as the mark-to-market election. U.S. Holders should consult their own tax advisors concerning whether Mobileye
ion will depend on the exact manner in which it is carried out. However, if a U.S. Holder receives cash for Shares in the Compulsory Acquisition or the Second Step Distribution, the U.S. federal income tax consequences to such U.S. Holder would generally be the same as described above. Each U.S. Holder should consult its ow
with respect to gain recognized on any sale or exchange of such Shares, including an exchange of such Shares pursuant to the Offer. unless such US. Holder has in effect certain elections, such as the mark-to-market election. U.S. Holders should consult their own tax advisors concerning whether Mobileye
ion will depend on the exact manner in which it is carried out. However, if a U.S. Holder receives cash for Shares in the Compulsory Acquisition or the Second Step Distribution, the U.S. federal income tax consequences to such U.S. Holder would generally be the same as described above. Each U.S. Holder should consult its ow
with respect to gain recognized on any sale or exchange of such Shares, including an exchange of such Shares pursuant to the Offer. unless such US. Holder has in effect certain elections, such as the mark-to-market election. U.S. Holders should consult their own tax advisors concerning whether Mobileye
ion will depend on the exact manner in which it is carried out. However, if a U.S. Holder receives cash for Shares in the Compulsory Acquisition or the Second Step Distribution, the U.S. federal income tax consequences to such U.S. Holder would generally be the same as described above. Each U.S. Holder should consult its ow
Entities connected to both Eric Holder and the Second Step Distribution

Martha Stewart
PERSON
Stewart Oldfield
PERSON
Harvey Weinstein
PERSONMobileye
ORGANIZATIONU.S. Holder
ORGANIZATION
Amsterdam
LOCATIONIsraeli Tax Aspects
ORGANIZATIONthe Israel Income Tax Ordinance (New Version
ORGANIZATION