22 attorney-reviewed guides on Israeli law relevant to Canada.
Showing 1–12 of 22 guides
How Israel's controlled foreign company regime in Section 75B reaches a Canadian co-owner: the 40% plus foreign relative limb, the 15% test, deemed dividends and Form 150.
How Canadian heirs unlock an Israeli estate when a relative vanished: the seven-year rule under the Declaration of Death Law 1978 and the Family Court route.
How Canadian residents buy a burial plot in Israel, repatriate remains, and work with a licensed chevra kadisha from abroad. Costs, law, apostille, and timing explained.
How Canadian residents hold an Israeli brokerage account: the non-resident securities exemption, the Form 2402A withholding trap, treaty dividend rates, and the CRA side.
How Canadian-Israeli dual citizens handle the IDF draft: Ben Mehagrim deferment, the 120-day visit limit, arranging status through the Toronto consulate, and avoiding a hold at Ben Gurion.
A Canadian who owns an Israeli company faces two tax systems: Israeli corporate tax and treaty dividends, plus Canada's FAPI rules and CRA foreign-affiliate reporting.
Many Canadian-born adults are already Israeli citizens through a parent. How to confirm citizenship by descent from Canada, the new apostille route, and what it changes.
What Israeli citizens in Canada owe Bituach Leumi, how the health-cover waiting period is calculated on return, and the NIS 16,860 redemption payment for 2026.
How Canadian heirs move inherited money out of Israel: succession orders, the 25% withholding rule, bank documentation, and CRA and FINTRAC reporting.
How Canadian residents are taxed on gains from Israeli shares and funds: the Section 97 non-resident exemption, CRA reporting, T1135, the treaty, and where the tax really lands.
How Canada's departure tax hits emigrants making aliyah: the deemed disposition under section 128.1, what escapes it, the deferral election, and how Israel's ten-year exemption fits.
Canadian heirs of Israeli property: no Israeli inheritance tax, the succession order, the no step-up trap Canada does not share, CRA capital gains, T2209, and T1135.