About The Practice
Our firm has abundant experience in representing Israeli resident clients that have assets (real estate and bank accounts) outside of Israel. This representation is expressed in affecting voluntary disclosure procedures that have been designed in recent years by the Tax Authority, in cumulative experience on broad questions such as Section 120 of the Ordinance, etc. Our firm also represents voluntary disclosure arrangements of diamond dealers that include other implicit issues in the matter of inventory differences, suppliers’ balances, diamond dealer’s seniority, reference to diamond dealer’s foreign bank accounts, etc.