Bio

With extensive experience of over 20 years in his fields of practice, Boaz Feinberg provides comprehensive services to the firm’s clients on a wide range of subjects relating to taxation, on both administrative and regulative levels, as well as in litigation.

In the field of international tax law, Boaz specializes in advising and acting on behalf of corporations, and also high-net-worth individuals and families, particularly multi-national families. He is one of Israel’s most prominent specialists on taxation of trusts and estates, providing planning of trusts structures, legal opinions and complex tax rulings in the field.

Boaz provides advice and tax planning on M&A transactions and other complex international transactions. In this capacity, he provides sophisticated and elaborate legal opinions and pre-ruling applications on direct and indirect tax branches, international tax and trusts, and leads negotiations vis-à-vis the Israel Tax Authority and its assessment offices, VAT offices, real estate taxation offices and senior officials, and the District and States Attorney Offices.

Boaz regularly writes professional articles that are published in various journals, professional newsletters and periodicals. In addition, he often lectures on various issues, including the application of new legal obligations that are levied on providers of financial services.

Recognition

High Net Worth 2025: Private Wealth Law
Tax
General corporate tax Transactional tax
Tax
High Net Worth 2023: Private Wealth Law
Recommended Lawyer - Tax
Highly Regarded: General corporate tax Transactional tax

LEGAL500

“Boaz is a powerhouse. His knowledge and expertise are only out done by his commitment to his clients.”

“Boaz Feinberg: excellent tax attorney and great at tax planning, financial plans”

Education
2001 Bar Ilan University | LLB (Cum laude)
Admission
2002 Israel

NEWS

Tax Exemption for New Immigrants and Veteran Returning Residents: Draft Bill to Encourage Immigration and Return to Israel
What happened? The Ministry of Finance circulated a draft bill implementing the Government’s decision regarding the economic program, aimed at encouraging immigration to Israel and return to Israel through tax incentives. The purpose of the bill is to encourage new immigrants and veteran returning residents to immigrate to, or return to Israel from January 2026 onwards. It is important to emphasize that this is a draft bill only, which has not yet been enacted into law, and therefore it may not be adopted, or may be adopted with changes from those reflected in the draft. Who is it relevant to? Individuals planning to immigrate to Israel in 2026, and their advisors. Legislative background According to the explanatory notes accompanying the draft, the proposed legislation is based on the growing manifestations of antisemitism worldwide, particularly following the outbreak of the "Swords of Iron" war, which may lead Jews to emigrate from their countries of residence. The purpose of the bill is to encourage potential immigrants and returning residents, particularly those belonging to higher socio-economic groups, to choose Israel as their destination. Current legal framework Under the current law, individuals who become Israeli residents for the first time, or veteran returning residents (individuals who have been foreign residents for ten consecutive years or more), are entitled to a tax exemption on income derived outside Israel from any source, or income derived from assets located outside Israel, as well as on capital gains from the sale of assets located outside Israel, for a period of ten years from the date they become Israeli residents. The current law does not provide an exemption for income generated in Israel, including income from personal exertion (active income from business, profession, or employment). Substance of the proposed legislation According to the draft, it is proposed to grant new immigrants and veteran returning residents a tax exemption on a portion of taxable income from personal exertion generated or derived in Israel, for a period of five years (2026–2030), subject to declining exemption caps over the years:
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Boaz Feinberg

Boaz Feinberg

Partner
132 Begin Road, Azrieli Center, Tel Aviv 6702101, Israel
Boaz Feinberg