What is a permanent establishment? Israel is a member of the Organization of Economic Cooperation and Development (OECD), and Israeli tax treaties generally follow the OECD model tax-treaty definition.This essentially says: The term “permanent establishment” means: a fixed place of business through which the business of a foreign enterprise is wholly or partly carried on; or a “dependent agent” acting on behalf of a foreign enterprise that has, and habitually exercises, in Israel or the other treaty country concerned, an authority to conclude contracts in the name of the foreign enterprise.
What went wrong in this case? The ruling does not say why a permanent establishment was deemed to exist. We can only guess that the foreign company had use of offices in Israel, or that the Israeli company was expected to habitually sign sales agreements of the JV in Israel.What should others learn from this ruling? We don’t know why the JV structure above was adopted; it might have been to save costs. It was probably not to reduce Israeli tax, as there are usually easier ways of arriving at a similar tax result.Nevertheless, international concerns thinking of entering into a JV with an Israeli company should beware of various potential obstacles, including: using a partnership (registered or unregistered, see below); sharing profits and losses; signing JV sales in Israel.In practice, such international JVs are usually structured differently.
Precedents Surprisingly, there are at least two similar precedents where havoc was eventually averted. First, the ITA made similar claims a decade ago against international venture-capital funds that invested in Israel, costing Israel billions of investment dollars. These involved limited partnerships registered in Delaware and elsewhere. Eventually, the ITA backed down and made a pact with the VC funds.And in the 1980s in the UK, international investors stayed away from the City of London because of the same provision as Israel’s Section 108 in the UK tax law.The UK government headed by Margaret Thatcher had to change the law to help save the London financial industry.
To sum upInternational JVs involving Israeli companies may need restructuring in light of the ITA’s misguided ruling.As always, consult experienced tax advisers in each country at an early stage in specific cases.leon@hcat.co Leon Harris is a certified public accountant and tax specialist at Harris Consulting & Tax Ltd.