The Weiser Case: UK Pension Income Not Subject to Tax in Israel under the Israel-United Kingdom Income Tax Treaty (1962)

Journal
Cleave, B.
Israel; United Kingdom
Bulletin for International Taxation 2013 (Volume 67), No. 6
PriceUSD 45

In this article, the author considers the recent decision of the UK First-tier Tribunal in the case of Weiser, concerning an Israeli resident taxpayer and whether his UK pension income was “subject to tax” in Israel and, consequently, exempt from UK tax under the Israel-United Kingdom Income Tax Treaty (1962).