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Israel Court Says Broadcom Didn’t Acquire Assets in Taxable Sale

General / Jan 09, 2020

Tax partner, Henriette Fuchs, leading our Tel Aviv tax department, was requested to provide her input to expert-author William Hoke of the reputable publication “Tax Analysts” in relation to the recent Israeli court decision regarding Dune – Broadcom. The recent case law justifies careful optimism: not every company acquired by a foreign multinational group should in a whiff and a whim be considered as having sold its IP to the foreign group companies, and not have to finance a high tax bill that would otherwise follow a real IP sale.

Publication was in Int’l Tax Notes on December 12 2019.

For full article: Tax Analysts New Case Law Israel (Dune); a twinkle of light

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