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sd-10-EFTA01380310Dept. of Justice

EFTA Document EFTA01380310

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The Receipt of Cash in Exchange for Shares Pursuant to the Offer. Generally, the receipt of cash in exchange for your Shares pursuant to the Offer (including during the Subsequent Offering Period, as it may be extended by the Minority Exit Offering Period) or the Post-Offer Reorganization will be considered an Israeli source transaction for Israeli income tax purposes and may be subject to mandatory withholding requirements. Mobileye and Purchaser obtained the Israel Withholding Tax Ruling

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Dept. of Justice
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sd-10-EFTA01380310
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