INCORPORATION BY REFERENCE
This report on Form 6-K shall be deemed to be incorporated by reference into the registration statement on Form S-8 (Registration Number: 333-205518) of ICL Group Ltd. and to be a part thereof from the date on which this report is filed, to the extent not superseded by documents or reports subsequently filed or furnished. In addition, this report on Form 6-K shall be deemed to be incorporated by reference into the Israeli Shelf Prospectus of ICL Group Ltd. filed with the Israel Securities Authority and dated February 28, 2022 (Filing Number: 2022-02-019821) and to be a part thereof from the date on which this report is filed, to the extent not superseded by documents or reports subsequently filed or furnished.


ICL GROUP LTD.
1.
Dividend Distribution - Supplemental Report


Dividend Distribution - Supplemental Report
Further to the Company's immediate report dated November 9, 2022 (reference number 2022-02-108327), regarding a dividend distribution out of the Company's earnings in the amount of about $314 million, the Company hereby reports that the dividend amount per share in US dollars is $0.24350, and the dividend amount per share for shareholders who will receive the payment in Shekels is ILS 0.8354485, based on today's representative exchange rate as published by the Bank of Israel.
The dividend will be paid only to registered shareholders entitled to receive US$2 or more.
The record date is November 30, 2022 and the payment date is December 14, 2022.
From the current dividend payment, Israeli tax will be withheld at the following rates: (1) with respect to about 65% of the dividend, an Israeli resident company will not be charged for withholding tax; the withholding tax rate for an Israeli-resident individual will be 25%; and the withholding tax rate for foreign residents (individuals and companies) will be 25% or in accordance with the applicable international tax treaties - whichever is lower; (2) with respect to about 35% of the dividend, an Israeli resident company will not be charged for withholding tax; an Israeli resident individual will be charged for withholding tax at a rate of 20%; and foreign residents (individuals and companies) will be charged for withholding tax at a rate of 20% or in accordance with the applicable international tax treaties - whichever is lower.
For additional information as to a possible refund procedure for taxes withheld in excess of the withholding tax rates described above, from shareholders holding shares that are traded on NYSE not through an Israeli bank, please visit the Company's webpage, by clicking this link: https://iclgroupv2.s3.amazonaws.com/corporate/wp-content/uploads/sites/1004/2020/11/ICL-Tax-Withholding-Ruling-2020.pdf

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ICL Group Ltd. published this content on 29 November 2022 and is solely responsible for the information contained therein. Distributed by Public, unedited and unaltered, on 30 November 2022 03:02:06 UTC.