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U.S. Trusts – Israeli Resident Beneficiaries

New England

U.S. Trusts - Israeli Resident Beneficiaries

Has anyone addressed the 2014 Israeli tax legislation which attempts to tax any trust created by a U.S. resident with assets located exclusively in the U.S. and managed exclusively by a U.S. resident trustee simply because there is at least one trust beneficiary resident in Israel? This means that the trust can owe taxes to Israel on all trust income, not just the portion distributed to the Israeli resident beneficiary.
Jun 16, 2023

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