Ms. Shavit is the head of FBC's Tax Department and is recognized by international and domestic indices as one of Israel's leading tax practitioners.
Her diverse practice encompasses income tax, VAT, real estate tax, international tax matters, taxation of provident funds, tax implications of employee benefit plans, and compensation packages. Ms. Shavit also has considerable experience working with governmental and regulatory agencies involved in privatizations and restructurings.
Ms. Shavit has broad experience in handling complex M&A, financing, and capital markets transactions, and in the representation of venture capital and private equity funds in fund formation matters, as well as regarding investments in portfolio companies.
Ms. Shavit’s on-going work for Israeli and multinational clients includes advising on cross-border tax structuring, representation before the Israeli tax authorities in ruling requests and settlement agreements, and providing opinions on tax-related issues.
Ms. Shavit is Co-Chair of the Tax Committee of the Central District of the Israel Bar Association.
Tel Aviv University, LL.B., 1994
Tel Aviv University, B.A. (Economics), 1994
An inter-ministerial committee was recently 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 increase the availability of financing sources for infrastructure projects, reduce the financial costs of these projects and enable small investors to directly participate and own these projects.
The Value Added Tax (VAT) Law sets out that zero-rate VAT applies to the export of services to a foreign resident. However, recent judgments have interpreted such relief in a narrow manner and have significantly reduced the ability to charge zero-rate VAT on services rendered to foreign residents.
In a recent decision, a district court in Israel ruled in favour of Broadcom Semiconductor Ltd and rejected the Israeli Tax Authority's claim that Broadcom Semiconductor was required to pay additional taxes of NIS100 million due to the deemed sale of its main functions and assets to affiliated companies. In its decision, the court ruled that a change of a company's business model would not necessarily be deemed as a sale of its assets (and, in particular, a sale of its intellectual property).
The Organisation for Economic Cooperation and Development (OECD) set a goal to deliver by 2020 a final report that includes a consensus approach with respect to the challenges of the digital economy, both the allocation of taxation rights (pillar one) and Base Erosion and Profit Shifting issues (pillar two). What are the latest proposals of the OECD and where does Israel stand?
This article has been removed at the request of the contributing firm.
The taxation of real estate investments is complex and depends on various factors, including the property owner's status (ie, individual or corporation), the nature of the asset (eg, residential property, commercial property or land) and the purpose of the investment (eg, producing rental income or entrepreneurial profit). This article summarises the main factors to be considered when contemplating real estate-related investments in Israel.