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UAE Corporate Tax: Finance Ministry announces freezone tax policy, exemptions

The UAE corporate tax came into effect on June 01

UAE corporate tax freezone
Image: Canva

The UAE Ministry of Finance released two new decisions that specify the main features of the new Corporate Tax regime which went into effect today.

The new decisions outlined by the ministry and relevant tax authorities during a press conference in Abu Dhabi include: Cabinet Decision No. 55 of 2023 on Determining Qualifying Income and the Ministerial Decision No. 139 of 2023 on Qualifying Activities and Excluded Activities.

The Freezone Corporate Tax regime is available to ‘Free Zone Persons.’ As clarified by the ministry, this refers to a juridical person that is incorporated or otherwise formed or registered in a Free Zone.

It is only applicable within the prescribed areas of the Free Zones. To confirm whether the freezone is eligible for zero percent tax, businesses can contact their Free Zone Authority.

It will only be applied to income derived from activities that are performed exclusively in or from within a freezone.

This is reflected in the definition of the ‘Qualifying Income’ which includes income derived from transactions with other Free Zone Persons as well as domestic and foreign sourced income derived from conducting any of the ‘Qualifying Activities’ listed in the related Ministerial Decision.

Qualifying Activities include manufacturing of goods or materials, processing of goods or materials; holding of shares and other securities; ownership, management and operation of ships; reinsurance services; fund management services that are subject to the regulatory oversight of the competent authority in the UAE; and wealth and investment management services that are subject to the regulatory oversight of the competent authority in the UAE.

They also include headquarter services to related parties; treasuring and financing services to related parties; financing and leasing of aircraft, including engines and notable components; logistics services; distribution in or from a designated zone that meets the relevant condition; and any activities that are ancillary to the above-mentioned activities.

Income from certain specific ‘Excluded Activities’ will not be treated as ‘Qualifying Income’ regardless of whether the income is derived from a Free Zone Person or as part of undertaking a ‘Qualifying Activity.’

Subject to certain exceptions, this includes income derived from transactions with natural persons, income derived from certain regulated financial services activities, income derived from intangible assets, and income derived from immovable property, other than transactions with Free Zone Persons in relation to commercial immovable property located in a Free Zone. 

De Minimis

Earning income from ‘Excluded Activities’ or earning any other income that is not ‘Qualifying Income’ will disqualify the Free Zone Person from the regime, subject to de minimis requirements.

To satisfy the de minimis requirements, the non-qualifying revenue earned by a Free Zone Person must not exceed the lower of either 5 percebt of their total revenue or AED5 million.

Revenue attributable to a domestic or foreign permanent establishment of the Free Zone Person and revenues attributable to immovable property located in a Free Zone that cannot benefit from the Free Zone Corporate Tax regime will not count towards the de minimis threshold.

Instead, the associated taxable income will be subject to the regular UAE Corporate Tax regime at 9 percent.

Where the de minimis requirements are not met or the Free Zone Person does not continue to meet any of the other qualifying conditions, the Free Zone Person will no longer be able to benefit from the Free Zone Corporate Tax regime for a minimum period of five years.

During this period, the Free Zone Person will be treated as an ordinary Taxable Person and be subject to Corporate Tax at the rate of nine percent on their Taxable Income above AED375,000.

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