Tax
Tax Controversy – Disputes & Litigation
Our goal is to resolve tax controversies effectively and efficiently. We strive to obtain for our clients the best legal and practical outcome, for both the immediate term and the long run, without necessarily going all the way to a final judgment in court, and with the least publicity possible.
Herzog Fox & Neeman's Tax Controversy practice advises and represents clients across industries in administrative proceedings and litigation in complex tax issues. Our tax controversy practice is
- Involved in controversies at all levels, from the beginning of an audit up to litigation before the Supreme Court of Israel and Mutual Agreement Procedure (Competent Authority);
- Works across all type of taxes, including income tax, corporate tax, tax withholding, VAT, real estate tax, social security and customs;
- Has tremendous experience in domestic and international cases, including in transfer pricing, taxation of digital economy, and treaty law.
Our Tax Controversy team is comprised from experienced litigators and as from lawyers who previously worked at the Israeli Tax Authority and have experience from the "other side of the fence" and it is supported by our entire tax department. Close cooperation between the Tax Controversy team and our other departments enables us to provide comprehensive advice in the representation of our clients.
Many of our Israeli lawyers worked and studied abroad (mainly in the US) and have fluent English, and we are able to provide our multinational and foreign clients with efficient and clear service in their tax disputes and litigation.
Meir Linzen
Chairman
Ofer Granot
Partner
Tax Controversy – Disputes & Litigation News & Insights
We are delighted to announce that in this year’s BDICode ranking, we are ranked in the top-tier in no less

Herzog is ranked by BDi Code as the top tier in 38 practice areas for 2023
We are pleased to announce that the “Chambers Tax Controversy 2023 Global Practice Guide” has been published by Chambers and

Herzog’s Contribution to the Chambers GPG Tax Controversy 2023 Israel
Happy Holidays! Wishing you and your loved ones health and happiness in the new year. May 2023 be an extraordinary

Happy Holidays !
As part of the 2021-2022 budgetary legislation process, the Israeli Government published on August 2, 2021, a memorandum regarding a

Dramatic Proposed Change in Tax Litigation Proceedings in Israel – Taxpayers will have to Pay 30% of the Tax in Dispute upon Filing Tax Appeals in Court
We want to thank you all for tackling the challenges of 2020 with us and hope that in 2021 we

Have a Happy and Healthy New Year 2021
We are proud to take part in writing the Israeli Tax Law chapter for the prestigious The Legal 500 (Legalease) guide. The

We are proud to take part in writing the Israeli Tax Law chapter for the prestigious The Legal 500 (Legalease) guide.
As you know, Israel continues its efforts to deal with the Corona Virus and contain it, to avoid its spreading

Handling the Corona Virus- Live Updates
Meir Linzen
Chairman
Corporate Tax, Employee Tax Benefits, Gaming, Indirect Taxes, Customs & International Trade, International Tax Planning, Internet & E-commerce, Investment Funds & Private Equity, Private Clients, Trusts & Estates, Tax, Tax Controversy – Disputes & Litigation, Transfer Pricing, Value Added Tax (VAT)
Elad Pinchas
Partner
Corporate Tax, Litigation, Tax Controversy – Disputes & Litigation, White Collar
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