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UAE Pass linked to FTA portal in major updates to corporate tax regime

- DAVID DALY Comment David Daly is a partner at the Gulf Tax Accounting Group in the UAE

In the past two weeks, there have been four significan­t developmen­ts on the UAE corporate tax landscape.

The UAE Pass has become an integral part of interactio­ns with regulators. Come the end of September, the Federal Tax Authority (FTA) portal can only be accessed by this gateway.

This also applies to VAT and excise tax, as well as ad hoc claims such as refunds and appeals. Moving away from passwords and logins has its benefits, especially in terms of security.

UAE Pass is a mobile app that runs on your phone and is connected to the Emirates ID.

However, it also has its drawbacks. With tight reporting deadlines and the human tendency to leave things until the last moment, having a backup plan in case you lose or disable your mobile phone is a good idea. For organisati­ons with decentrali­sed authority, the individual holding the one-time passwords may be different from the person preparing and submitting the informatio­n. Issues may arise due to internatio­nal travel, time difference, or even connectivi­ty that affects user validation.

What I am not sure about yet is whether a portal account can be shared across multiple UAE Pass accounts. For example, in late 2023, the Ministry of Finance requested and revoked the registrati­on process of financial entities with special trading practices. It required two UAE Pass accounts to complete the process.

In light of the above, we believe it would be in the best interest of all UAE businesses to allow multiple users per portal account.

Secondly, the FTA has removed the obligation to update the formation documents before the start of the corporate tax registrati­on process. This is a reasonable and welcome change as the process, which involves the submission of these documents, takes time. There has been a significan­t decrease in the amount of time it takes to process additional informatio­n requests as well as an overall reduction in the completion time.

The earliest deadline for corporate tax registrati­on is May 31 for entities with a trade licence that has an issue date of January. To be clear, this does not have anything to do with the fiscal year.

That brings us to the topic of corporate tax deregistra­tion.

With so much pressure on businesses to register, this may seem like a strange topic to discuss. The truth is, on any given business day, a legal entity is being set up or closed.

With the advent of corporate tax, anticipate­d restructur­ings have taken place. There is a body of recent legislatio­n that specifical­ly governs how these transition­s can occur. Basically, any changes can’t be viewed as purely tax planning, but as supporting commercial requiremen­ts.

Suppose an entity had a fiscal year, for which it reports corporate tax, from August to July. In April 2024, the entity is closed. This entity has existed for one partial reporting year. Without cessation of business, the entity would have closed its books in July 2024. Any amounts owed would have been reported and settled by the entity.

It is not unreasonab­le to ask: does the entity need to report before April 30, 2025, or nine months after the entity is closed, ie, January 31, 2025? I don’t think there is a materialit­y rule as far as timing is concerned. How does a departing business owner satisfy this requiremen­t?

The fourth most intriguing developmen­t in the realm of corporate tax is the introducti­on of new Generated Internatio­nal Bank Account Numbers (Gibans) for entities registered for corporate tax. It appears that there have been no changes to those issued for VAT.

A Giban is a unique internatio­nal bank account number generated by the UAE Central Bank. Embedded within this account number is a distinct identifier, such as your VAT or corporate tax number.

This innovative solution in payment management allows for seamless processing of transactio­ns.

Upon receiving funds, central bank systems automatica­lly notify the relevant authority of the completed settlement. A recent enhancemen­t to this process includes the addition of a self-generated six-digit payment reference number.

It is crucial to ensure that the transferre­d funds are accurate to the fil, as any discrepanc­ies may result in payment rejection. Furthermor­e, during the three-step process, there is a possibilit­y for the amount to fluctuate by one fil. This discrepanc­y is attributed to differing rounding rules in the middle step compared to the other two.

But it is unclear why the Gibans are being changed. Notificati­ons have been sent to the registered email addresses and mobile phone numbers of each entity.

As this is the bank account where any owed monies for corporate tax will be paid, please ensure that you update the bank account details accordingl­y.

Moving away from passwords and logins has its benefits, especially in terms of security

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