Israel

Israel

Introduces R&D tax credit regime

13 Apr 2026

On 13 April 2026, Israel enacted the Law for the Encouragement and Incentivization of Research and Development, 2026, introducing a new tax credit regime for research and development (R&D) activities. Previously, under the Law for the Encouragement of Capital Investments, eligible enterprises benefited from reduced corporate income tax rates. Following the implementation of the global minimum tax framework under Pillar Two, the incentive structure has shifted from tax rate reductions to tax credits.

The new law provides tax credits ranging from 3 to 30 per cent of qualifying R&D expenses. Enhanced credits are available to a special R&D enterprise, namely an enterprise that meets the relevant eligibility conditions under Israel’s investment incentive framework, and to an industrial plant located in Development Area A, a designated priority development area. Such enterprises are entitled to a credit of 25 per cent of qualifying R&D expenses up to NIS 1.05 billion, approximately $280 million, and 30 per cent for expenses exceeding that threshold. A standard R&D enterprise is eligible for a credit of 3 per cent up to the same threshold and 4 per cent for expenses exceeding it. Unused tax credits may be carried forward and, if not utilized by the end of the third tax year following the year in which the R&D activity took place, may be converted into a direct cash grant from the Government, subject to the applicable filing requirements.

The law applies to qualifying R&D expenses incurred from the tax year beginning on 1 February 2026 onwards.

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Nature of measure:
  • Incentives
Type:
  • Promotion and facilitation (Investment incentives)
Industry:
  • Not industry specific
Inward FDI:
Yes
Outward FDI:
No
Sources: