ZIM Updates on Withholding Tax Procedures on December 2024 Regular and Special Cash Dividends
ZIM Integrated Shipping Services has provided an update on tax withholding procedures for its previously announced December 2024 dividends. The company will distribute a regular cash dividend of $2.81 per share (approximately $340 million) and a special cash dividend of $0.84 per share (approximately $100 million) on December 9, 2024, to shareholders of record as of December 2, 2024. The company will withhold 25% of the dividend amount initially, but shareholders may be eligible for reduced withholding tax rates through a ruling from the Israeli Tax Authority. Eligible shareholders must submit required documentation to IBI Trust Management by January 7, 2025, to qualify for reduced rates.
ZIM Integrated Shipping Services ha fornito un aggiornamento sulle procedure di ritenuta fiscale per i dividendi annunciati per dicembre 2024. L'azienda distribuirà un dividendo in contante regolare di $2.81 per azione (circa $340 milioni) e un dividendo in contante speciale di $0.84 per azione (circa $100 milioni) il 9 dicembre 2024, agli azionisti registrati al 2 dicembre 2024. L'azienda riterrà inizialmente il 25% dell'importo del dividendo, ma gli azionisti potrebbero avere diritto a tariffe fiscali ridotte attraverso un decreto dell'Autorità Fiscale Israeliana. Gli azionisti idonei devono presentare la documentazione necessaria a IBI Trust Management entro il 7 gennaio 2025 per qualificarsi per le tariffe ridotte.
ZIM Integrated Shipping Services ha proporcionado una actualización sobre los procedimientos de retención de impuestos para los dividendos anunciados en diciembre de 2024. La compañía distribuirá un dividendo en efectivo regular de $2.81 por acción (aproximadamente $340 millones) y un dividendo en efectivo especial de $0.84 por acción (aproximadamente $100 millones) el 9 de diciembre de 2024, a los accionistas registrados al 2 de diciembre de 2024. La compañía retendrá inicialmente el 25% del monto del dividendo, pero los accionistas podrían ser elegibles para tasas fiscales de retención reducidas a través de un fallo de la Autoridad Fiscal de Israel. Los accionistas elegibles deben presentar la documentación requerida a IBI Trust Management antes del 7 de enero de 2025 para calificar para las tarifas reducidas.
ZIM Integrated Shipping Services는 2024년 12월 배당금에 대한 세금 원천징수 절차에 대한 업데이트를 제공했습니다. 이 회사는 2024년 12월 9일에 2024년 12월 2일 기준으로 주주들에게 주당 $2.81의 정기 현금 배당금 (약 $3억 4천만)과 주당 $0.84의 특별 현금 배당금 (약 $1억) 을 배포할 예정입니다. 회사는 처음에 배당금 금액의 25%를 원천징수하지만, 주주들은 이스라엘 세무당국의 판결을 통해 세금 원천징수율을 줄일 수 있습니다. 자격이 있는 주주는 2025년 1월 7일까지 IBI Trust Management에 필요한 문서를 제출해야 할인된 세율을 받을 수 있습니다.
ZIM Integrated Shipping Services a fourni une mise à jour sur les procédures de retenue d'impôt concernant ses dividendes annoncés pour décembre 2024. La société distribuera un dividende en espèces régulier de 2,81 $ par action (environ 340 millions $) et un dividende en espèces spécial de 0,84 $ par action (environ 100 millions $) le 9 décembre 2024, aux actionnaires enregistrés au 2 décembre 2024. La société retiendra initialement 25 % du montant des dividendes, mais les actionnaires peuvent être éligibles à des taux d'imposition retenus réduits grâce à une décision de l'Autorité fiscale israélienne. Les actionnaires éligibles doivent soumettre la documentation requise à IBI Trust Management avant le 7 janvier 2025 pour pouvoir bénéficier des taux réduits.
ZIM Integrated Shipping Services hat ein Update zu den Steuerabzugsverfahren für die zuvor angekündigten Dividenden im Dezember 2024 bereitgestellt. Das Unternehmen wird am 9. Dezember 2024 eine reguläre Bardividende von $2.81 pro Aktie (ca. $340 Millionen) und eine spezielle Bardividende von $0.84 pro Aktie (ca. $100 Millionen) an die am 2. Dezember 2024 registrierten Aktionäre ausschütten. Das Unternehmen wird zunächst 25% des Dividendebetrags einbehalten, aber Aktionäre könnten durch eine Entscheidung der israelischen Steuerbehörde Anspruch auf reduzierte Abgeltungssteuersätze haben. Anspruchsberechtigte Aktionäre müssen die erforderlichen Dokumente bis zum 7. Januar 2025 bei IBI Trust Management einreichen, um sich für die reduzierten Sätze zu qualifizieren.
- Regular cash dividend of $2.81 per share totaling $340 million
- Additional special cash dividend of $0.84 per share totaling $100 million
- Opportunity for shareholders to qualify for reduced tax withholding rates
- Initial 25% tax withholding on dividend payments
- Complex documentation requirements for reduced tax rates
- timeframe (until January 7, 2025) to submit tax reduction documentation
As a result of the Ruling, certain shareholders of the Company ("Shareholders") may be eligible to a reduced Israeli withholding tax rate with respect to their share of these Dividends, in comparison to the generally applicable withholding tax rate (the "Reduced Withholding Tax Rate"), under certain terms and conditions as set forth below.
The description provided below is not intended to constitute a complete analysis of withholding tax rate procedures relating to the distribution of the Dividends, nor does it address the actual tax liability of any of the Shareholders, but merely relates to the Israeli withholding tax procedures relating to the distribution of the Dividends. Other than the Dividends previously declared by the Company to be paid on December 9, 2024, there is no guarantee the Company will declare additional dividends in the future.
Shareholders are advised to consult their own tax and financial advisors concerning the tax consequences of each particular situation, as well as any tax consequences that may arise under the laws of any state, local, foreign or other taxing jurisdiction. For the avoidance of doubt, the Agent IBI Trust Management (whose information is provided below) has been retained by ZIM for the purpose of coordinating certain procedures relating to the Ruling, and it is NOT intended that the Agent will provide any tax advice to any of the Shareholders, who are encouraged to consult their own tax and financial advisors.
Forms required to be submitted to the Agent in connection with the Ruling as described below are available in this hyper link – here (the full link appears below, in the Agent's contact information), and can also be found on the Company's website here.
Background
On November 20, 2024, ZIM announced a regular cash dividend of
General Withholding Tax Treatment under Israeli Law
As set out in the Company's Annual Report on Form 20-F filed with the Commission on March 13, 2024, with respect to dividends sourced from regular earnings, under the Israeli Tax Ordinance and regulations issued under the Israeli Tax Ordinance (collectively, "ITO"), the current Israeli rate of withholding tax on dividends paid by an Israeli company is
Summary of the Main Terms of the Ruling
The following is a summary of some of the key terms of the Ruling. It is emphasized that the description below does not purport to exhaust all the terms and conditions included in the Ruling and is not a complete translation of the Ruling. In order to enjoy the Reduced Withholding Tax Rate, Shareholders must comply with all the terms of the Ruling, a copy of which in the Hebrew language as well as an unofficial non-binding English translation thereof can be obtained free of charge by email by approaching the Agent (as defined below) at the contact details provided below.
- On the Payment Date the Company will withhold
25% of the Dividends amount and will remit the tax amount to the Agent, to be handled by the Agent in accordance with the terms and conditions of the Ruling. - The remaining
75% of the Dividends amount will be remitted by the Company to its transfer agent, Equiniti Trust Company, LLC, which will transfer the said amount to the Shareholders (including through brokers who hold in brokerage accounts ZIM shares on behalf of Shareholders). - A Shareholder who is a resident of a country with which
Israel has a tax treaty ("Treaty State") (based on a declaration to be provided by such Shareholder) and is the beneficial owner of the Dividends, as well as a Shareholder who is a foreign (i.e., non-Israeli) resident of a country with whichIsrael does NOT have a tax treaty and is the beneficial owner of the Dividends, may apply to the Agent requesting a Reduced Tax Withholding Rate. Such application must be received by the Agent between the Payment Date and January 7, 2025 ("Change of Rate Period"). - A Shareholder who declared that he or she is a resident of a Treaty State and is the beneficial owner of the Dividends may apply to the Agent during the Change of Rate Period only (subject to complying with all the documentation requirements detailed below) requesting the receipt of the monetary difference between the tax amount remitted to the Agent (at a rate of
25% ) and the amount represented by the withholding tax rate set forth in the tax treaty betweenIsrael and such Treaty State or by the limited withholding tax rate applicable to such dividend payments under the ITO, to the extent applicable. - A Shareholder who did not declare that it, he or she is a resident of a Treaty State and is the beneficial owner of the Dividends, may apply to the Agent during the Change of Rate Period only (subject to complying with all the documentation requirements detailed below) requesting the receipt of the monetary difference between the tax amount remitted to the Agent (at a rate of
25% ) and the amount represented by the withholding tax rate applicable to such dividend payments under the ITO or by the limited withholding tax rate applicable to such dividend payments under the ITO, to the extent applicable. - Any Shareholder who claims to be entitled to a Reduced Tax Withholding Rate in accordance with the foregoing, will be required to provide the Agent with all relevant documentation as detailed in the Ruling and the forms available in the following link, on no later than January 7, 2025 (the end of the Change of Rate Period), including but not limited to, bank account details to which the dividend payments should be transferred, number of ZIM shares owned by the Shareholder in such account, identification document, and confirmation of residence for the tax year 2024 issued by the taxing authority of the state of tax residence.
- In addition to the foregoing, the Shareholder will provide a written declaration in the form annexed to this announcement which will include declarations as to the following: (i) the Shareholder's tax residence for the tax year 2024, (ii) the Shareholder's beneficial ownership of the dividends, (iii) the investment in ZIM shares has not been made through a permanent establishment in
Israel , (iv) the holding of ZIM shares is made for the Shareholder's own account and not for the account of others, and (v) the payment will not be made to a permanent establishment of the Shareholder outside of the Shareholder's tax residence. - A non-Israeli corporate Shareholder (excluding a Shareholder covered by section 9 below) that requests a Reduced Tax Withholding Rate, will also need to provide the Agent with its updated shareholders register as of December 2, 2024, and a statement confirming that more than
75% of its shareholders, directly or indirectly, are individuals of its state of residence for the tax year 2024. - A publicly traded non-Israeli corporate Shareholder whose shares are traded on a stock market outside of
Israel and is a resident of a Treaty State, or a direct or indirect subsidiary of such Shareholder, will also provide the Agent with a declaration that it is a resident of such Treaty State or another non-Israeli state for the tax year 2024, as applicable. - An Israeli corporate Shareholder which is entitled to a Reduced Tax Withholding Rate (including an exemption from withholding tax at source), will be able to apply to the Agent no later than January 7, 2025 (the end of the Change of Rate Period) and enclose an applicable valid ITA issued certificate setting forth a Reduced Tax Withholding Rate or an exemption from withholding tax. In addition, such Shareholder will enclose its certificate of incorporation and all other documents required as set forth above, mutatis mutandis, as requested by the Agent.
- The Agent is entitled to request from the Shareholders applying for a Reduced Tax Withholding Rate additional documents in its discretion insofar as they are required to establish the tax residence of the Shareholder or its entitlement to exemption and/or to a Reduced Tax Withholding Rate.
- Notwithstanding the foregoing, no refund of excess tax withholding shall be affected by the Agent with respect to any Shareholder holding more than
5% of the issued share capital of the Company, or whose entitlement to dividends from the Company pursuant to the Dividends exceeds , other than in accordance with a specific approval issued by the ITA.$500,000 - The transfer of the amounts withheld, excluding the amounts returned to the Shareholders, as aforementioned, shall be conducted by the Agent. Subject to receipt by the Agent of your required documentation, the Agent will return the amounts withheld to the Shareholders as detailed above to the account at which the dividend payments were made within 30 days from the date the amounts withheld are paid to the ITA.
- The Ruling is aimed to address solely the issue of tax withholding procedures and should not be construed as setting the actual tax liability of any Shareholder with respect to the Dividends or otherwise.
Appointment of Israeli Tax Withholding Agent
In order to facilitate the implementation of the procedures set forth in the Ruling for the benefit of its Shareholders, the Company appointed IBI Trust Management to serve as a processing agent for the benefit of the Shareholders in connection with the distribution of the Dividends (the "Agent"). Contact information of the Agent is provided at the bottom of this announcement. We encourage you to contact the Agent if you need any clarifications in filling-in the forms required under the Ruling to obtain a Reduced Withholding Tax Rate, or if you have any questions concerning the process. Please note that the Agent will not provide any tax advice to any Shareholder, who should consult their own tax and financial advisors.
In order to be eligible to benefit from a Reduced Withholding Tax Rate, Shareholders must provide the Agent with all documentation required under the Ruling not later than January 7, 2025. The relevant forms are included in the following link.
If a Shareholder fails to provide the Agent with all the documentation required by January 7, 2025, the Agent will not be able to attend to such Shareholder's application and will not be able to return any amounts originally remitted on behalf of such Shareholder nor provide any confirmation of tax withholding to such a Shareholder, either in connection with the Ruling or in connection with any other tax filing by such Shareholder.
ZIM's Agent Contact Information:
IBI Trust Management
Tel No: +972-3-519-3896, +972-506-209-410
Email: ZimDividend@ibi.co.il
Link to forms: https://form.cellosign.co/public/djE6d2Y6MzlhOTE4M2MtYmU1My00MmNjLWFhMTktYjc5NGJmYTRjOTcxOlN0YXJ0RXZlbnRfMWl1OTBscQ
About ZIM
Founded in
ZIM Contacts
Media:
Avner Shats
ZIM Integrated Shipping Services Ltd.
+972-4-865-2520
media@zim.com
Investor Relations:
Elana Holzman
ZIM Integrated Shipping Services Ltd.
+972-4-865-2300
holzman.elana@zim.com
Leon Berman
The IGB Group
212-477-8438
lberman@igbir.com
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SOURCE ZIM Integrated Shipping Services Ltd.
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