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                        The Israeli Tax Authority published recently guidelines with special transitional arrangement to certain trusts that had previously been exempt from Israeli tax and became subject to tax from 1 January 2014. Any trustees who wish to relay on the tax arrangement and pay partial tax to settle on the Israeli tax position of a trust must do so by 31 December 2014.
                        
                        למאמר המלא...
                     
                 
                 
            
            
                 
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