The UK experienceUK Exchequer Secretary David Gauke announced on September 9 that taxtreaty anti-avoidance proposals contained in a consultation document published on August 1 are to be dropped. “Treaty shopping” is the slang expression for tax planning based on the use of tax treaties. In his written statement Gauke said: “The responses so far received have made it clear that the proposed legislation, as drafted, could cause significant uncertainty for compliant UK businesses and overseas investors about its intended scope and its practical effect.”The proposed legislation would have allowed UK domestic legislation to override the UK’s bilateral tax treaties with many countries, including Israel. This is the opposite of the normal constitutional position in most countries that international agreements prevail over purely domestic legislation.When did you last see a major country back down from controversial tax proposals? Section 86 of the Income Tax Ordinance enables the Israel Tax Authority to disregard “artificial or fictitious transactions.” False transactions are usually a criminal matter, while far-fetched or unreasonable transactions are usually a civil matter.Suppose someone wants to come clean on some unreported income?Israel has a voluntary disclosure procedure. Under this procedure, the individual approaches his local tax office, which will check if he is already under investigation. If the individual is not already under investigation, he may proceed to negotiate an outcome with his local tax office. What about Israel?
As always, consult experienced professional 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.