eToro SPAC Presentation Deck
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Risk factors (10/12)
Risks Related to Our Operations in Israel
1. Relations between Israel and the other jurisdictions from which we operate and the various jurisdictions in which our customers reside could materially affect our business.
2. Potential political, economic and military instability in the Israel, where the majority of our senior management and facilities are located, may adversely affect our results of
operations.
3. Our operations may be disrupted by the obligations of personnel to perform military service.
4. We currently maintain a beneficial tax treatment status. Changes in tax laws, tax incentives, benefits or differing interpretations of tax laws or our inability to maintain our
beneficial tax status may adversely affect our results of operations.
5. It may be difficult to enforce a U.S. judgment against us or our officers and directors in Israel or the U.S. or to assert U.S. securities laws claims in Israel or serve process on
our officers and directors.
Risks Relating to Owning Our Stock
1. A market for our common shares may not develop or be sustained, which would adversely affect the liquidity and price of our common shares. If securities or industry
analysts do not publish research, or publish inaccurate or unfavorable research, about our business, the price and liquidity of our common shares could decline.
2. Having a minority ownership interest in our company will mean that you may not have meaningful influence on our management.
3. Sales of a substantial number of our common shares in the public market by our existing shareholders could cause our share price to decline.
4. After the closing of the business combination, a significant number of our common shares are subject to issuance upon exercise of outstanding warrants and options,
which may result in dilution to our shareholders.
5. Our future ability to pay cash dividends to shareholders is subject to the discretion of our board of directors and will be limited by our ability to generate sufficient earnings
and cash flows.
6. There can be no assurance that we will not be a passive foreign investment company for any taxable year, which could subject U.S. shareholders to significant adverse U.S.
federal income tax consequences.
7. If we are a controlled foreign corporation, there could be adverse U.S. federal income tax consequences to certain U.S. shareholders.View entire presentation