Gulf Today

Ministry issues decision on transition­al rules for corp tax

The decision applies to certain assets and liabilitie­s, such as immovable property, intangible assets, financial assets, and financial liabilitie­s, held by businesses before the Corporate Tax Law comes into effect

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The Ministry of Finance (MOF) has issued Ministeria­l Decision No. 120 of 2023 on Transition­al Rules for Corporate Tax, providing guidelines for adjusting a Taxable Person’s opening balance sheet under the Corporate Tax Law.

Younis Haji Al Khouri, Undersecre­tary of the Ministry of Finance, said, “Transition­al rules for Corporate Tax provide important clarificat­ions for businesses that need to transition smoothly from the pre-implementa­tion period of the Corporate Tax Law to the post-implementa­tion period.

The aim is to ease the process of determinin­g the opening balance sheet, ensuring a fair and transparen­t approach for assets and liabilitie­s held prior to the implementa­tion of the new Corporate Tax regime.”

The decision applies to certain assets and liabilitie­s, such as immovable property, intangible assets, financial assets, and financial liabilitie­s, held by businesses before the Corporate Tax Law comes into effect.

Businesses can adjust their tax treatment of such assets and liabilitie­s based on specific rules and must decide how to do that when they submit their first Tax Return. Their choice would be permanent except in special circumstan­ces. The decision also considers the ownership history of assets and liabilitie­s, including those owned by the company or other members of the same business group.

There is further flexibilit­y for the real estate sector where companies with immovable property recorded on a historical cost basis have an option to select the basis of the relief, using either a time apportionm­ent method or valuation method, thereby allowing groups to determine the most favourable outcome for them on immovable property on an asset-by-asset basis.

For example, consider a UAE company that owns a real property asset, such as a building or land, before the effective date of the Corporate Tax Law. Upon selling the property ater the enactment of the law, the company can choose one of two methods for adjusting their Taxable Income; they can either exclude a portion of the gain based on the property’s holding period, or they can use a fixed formula based on the property’s value (as determined by the relevant government entities in charge of valuation of land and real-estate property in the UAE) at the start of the first Tax Period.

This ensures a fair tax calculatio­n that considers the property’s ownership or value history and only taxes that business’ gains on such immovable property that are atributed to periods ater the Corporate Tax Law is effective.

Another possible scenario for financial assets and liabilitie­s would be a local business that holds shares in another company recorded on a historical cost basis before the enactment of the Corporate Tax Law.

When this local business sells these shares ater the law comes into effect, it can adjust its Taxable Income by excluding a portion of the gain based on the shares’ value at the start of the first Tax Period. This transition­al rule ensures only gains of that business on such shares that are atributed to periods ater the Corporate Tax Law is effective are taxed.

Meanwhile, Mohamed bin Hadi Al Hussaini, Minister of State for Financial Affairs, met with Magdalena Rzeczkowsk­a, Minister of Finance of the Republic of Poland, and her accompanyi­ng delegation at the Ministry’s headquarte­rs in Abu Dhabi.

The meeting sought to discuss current economic developmen­ts and future prospects, as well as ways of enhancing financial and economic cooperatio­n between the UAE and Poland.

Al Hussaini emphasised the significan­ce of this meeting, which serves as a vital opportunit­y to further strengthen bilateral relations between the UAE and the Republic of Poland in the fields of economy, finance and investment, among others.

He said, “The UAE is keen to consolidat­e economic and financial ties and partnershi­ps with the Republic of Poland and expand areas of cooperatio­n to include key areas of common interest. Our cooperatio­n will contribute to advancing our economies and consolidat­ing our bilateral relations.”

The meeting included the signing ceremony of the Uae-poland joint statement, which aims to consolidat­e cooperatio­n between both countries and exchange knowledge, experience­s and best practices in the field of tax policy.

These practices include digital reporting requiremen­ts, big data analysis, machine learning, means of supporting research and innovation, and in addition to deploying new technologi­es in the public sector such as artificial intelligen­ce (AI).

Theuaeison­eofpoland’slargesttr­adingpartn­ers in the region, as the volume of non-oil intra-trade between both countries amounted to about AED3 billion during the first half of 2022, achieving a growth of 22%, compared to the same period in 2021.

Additional­ly, the volume of non-oil intra-trade between the two countries amounted to about Dhs5.3 billion during 2021, achieving a growth of 12% compared to 2020.

From the UAE Ministry of Finance, the meeting was atended by Younis Haji Al Khoori, Undersecre­tary of Ministry of Finance; Hamad Al Zaabi, Director of the Office of the Minister of State for Financial Affairs; Thuraya Al Hashemi, Director of the Internatio­nal Tax Department at the Ministry of Finance; and Joanna Declercq Zelechowsk­a, Advisor at the Ministry of Finance.

 ?? ?? Traders work on the floor of the Abu Dhabi ↑ Securities Exchange. Businesses can adjust their tax treatment of such assets and liabilitie­s based on specific rules.
Traders work on the floor of the Abu Dhabi ↑ Securities Exchange. Businesses can adjust their tax treatment of such assets and liabilitie­s based on specific rules.

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