ZIM Updates on Withholding Tax Procedures on March 2026 Cash Dividend
ZIM Updates on Withholding Tax Procedures on March 2026 Cash Dividend |
| [19-March-2026] |
HAIFA, Israel, March 19, 2026 /PRNewswire/ -- ZIM Integrated Shipping Services Ltd. (NYSE: ZIM) ("ZIM" or the "Company"), a global container liner shipping company, hereby updates that in connection with the dividend distribution expected to take place on March 26, 2026, as previously announced by the Company on March 9, 2026 (the "Dividend"), the previously obtained tax ruling from the Israeli Tax Authority ("ITA") on tax withholding procedures relating to the payment of the Dividend to the Company's shareholders (the "Ruling"), as extended, shall apply.
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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 this Dividend, 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 Dividend, 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 Dividend. Other than the Dividend previously declared by the Company to be paid on March 26, 2026, there is no guarantee the Company will declare additional dividends in the future. In addition, pursuant to a merger agreement signed on February 16, 2026, between Hapag-Lloyd AG and the Company, the Company's ability to distribute dividends beyond regular dividends in accordance with its dividend policy is limited. For further details regarding the transaction with Hapag-Lloyd AG please see the Current Report on Form 6-K , filed by the Company with the US Securities and Exchange Commission on February 17, 2026. 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 the following Link (the full link appears below, under the Agent's contact information), and can also be found on the Company's website here. Background On March 9, 2026, ZIM announced a dividend payment of $0.88 per ordinary share (approximately $106 million), to be paid to holders of ordinary shares as of March 20, 2026. Payment of the Dividend is expected to be made on March 26, 2026 (the "Payment Date"). 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 9, 2026, 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 30% for distributions to a "substantial shareholder" (in general, being someone who holds, directly or indirectly, by himself or together with others, at least 10% of one or more of the means of control in the company) and 25% with respect to distributions to all other holders of Ordinary Shares ("Withholding Tax"). Notwithstanding the foregoing, as a result of the Ruling and subject to its terms and conditions, certain Shareholders, both Israeli and non-Israeli, may be eligible to a reduced Israeli withholding tax rate on their share of this dividend distribution, in comparison to the generally applicable withholding tax rate described above, (the "Reduced Withholding Tax Rate"), under certain terms and conditions as set forth below. 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.
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 Dividend (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 May 7, 2026. The relevant forms are included in the following link. If a Shareholder fails to provide the Agent with all the documentation required by May 7, 2026, 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: Link to forms: About ZIM Founded in Israel in 1945, ZIM (NYSE: ZIM) is a leading global container liner shipping company with operations in more than 90 countries, serving over 30,000 customers across more than 300 ports worldwide. ZIM leverages digital strategies and a commitment to ESG values to provide customers innovative seaborne transportation and logistics services and exceptional customer experience. ZIM's differentiated global-niche strategy, based on agile fleet management and deployment, covers major trade routes with a focus on select markets where the company holds competitive advantages. Additional information about ZIM is available at www.ZIM.com. ZIM Contacts Media: Avner Shats Investor Relations: Elana Holzman Leon Berman Logo: https://mma.prnewswire.com/media/1933864/ZIM_Logo.jpg
SOURCE Zim Integrated Shipping Services Ltd. | ||
Company Codes: Berlin:2SV,Dusseldorf:2SV,Frankfurt:2SV,Hamburg:2SV,Hanover:2SV,Munich:2SV,NYSE:ZIM,Stuttgart:2SV |












