Money and business

"Finance": The Cabinet’s decision regarding determining the uninterrupted person’s connection to corporate tax purposes

Abu Dhabi, April 6 / WAM / The Ministry of Finance announced today, the issuance of Cabinet Resolution No. 35 of 2025, regarding determining the connection of the non -resident person in the state for the purposes of the decree of the Federal Law No. 47 of 2022, regarding the tax and business tax, which replaced the provisions of Cabinet Resolution No. 56 of 2023.

The new decision determines the cases in which the non -resident legal person, invested in a qualified investment fund or a real estate investment fund, is related to the UAE, and thus is subject to tax.

This comes in light of the issuance of Cabinet Resolution No. 34 of 2025 regarding qualified investment funds and limited partnerships for the purposes of the decree Law No. 47 of 2022 regarding the tax and business tax.

According to the new decision, a link is established in the UAE for the non -resident legal person, invested in a qualified investment fund, in the event that the permitted real estate ownership rate exceeds, whether on the date of the distribution of profits if the fund distributes 80% or more of its income within nine months of the end of its financial year, or on the date of acquisition of the property shares if the fund is not distributed at least 80% of its income within nine months of the end of its financial year, A link to the non -resident legal person is also established in the event that the qualifying investment fund is not fulfilled by the conditions of the diversity of ownership, during the tax period in which these conditions were not met.

As for the real estate investment funds, a link is established for the non -resident legal person, invested in the fund either on the date of the distribution of profits if the fund distributes 80% or more of its income within nine months of the end of its financial year, or on the date of acquisition of the ownership shares if the fund does not distribute 80% or more of its income within nine months of the end of its financial year.

With the exception of the above cases, the non -resident legal person, who invests exclusively in a qualified investment fund and/or a real estate investment fund, will not be considered a taxable presence in the UAE.

The decision facilitates the burden of compliance with foreign investors, as it reflects the commitment of the UAE government to provide an investment environment in support of these investors.

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