Chapter 12: Foreign PE Exemption & Non-Resident Exemption | Articles 24 & 25 | UAE Corporate Tax

Firoz, CEO of Flying Colour Tax Consultant and Auditing, is a finance and tax practitioner in the UAE for over a decade. I am an FTA approved Tax Agent for Corporate Tax, VAT, and Excise Tax (TAAN: 20054920), a Member of the UAE Emirates Association of Accountants and Auditors (Membership No. 5043), and a Certified Customs Expert (CCE). In the world of international business, "Double Taxation" is the biggest risk. In this twelfth chapter of our 50-part technical masterclass, we explore how UAE Resident Juridical Persons can manage their global footprint through the Foreign Permanent Establishment Exemption and how the UAE maintains its status as a global logistics hub through the Non-Resident Exemption for international transport. 📊 In this video, we cover: Article 24 — Foreign PE Exemption: A technical analysis of the "Election" mechanism. Learn how UAE companies can choose to exclude the profits and losses of their foreign branches from their UAE taxable income. The "Subject to Tax" Test: Why your foreign branch must be paying at least 9% tax in its host country to qualify for this UAE exemption. Election vs. Foreign Tax Credit: When should you choose the exemption over the credit? We look at the "All or Nothing" rule for multiple branches. Article 25 — Non-Resident Exemption: How foreign companies operating aircraft or ships in international transportation can stay tax-exempt in the UAE. The Reciprocity Rule: Understanding why the UAE only grants exemptions if the foreign company’s home country provides the same benefit to UAE carriers like Emirates, Etihad, or DP World. Loss Treatment: A critical warning—if you exempt the foreign profit, you lose the right to deduct the foreign losses. 00:00 Introduction 01:22 Foreign Permanent Establishment Exemption is election of application ? What are the conditions to be satisfied to elect Foreign Permanent Establishment Exemption? 15:38 Who should elect Foreign Permanent Establishment Exemption and who should not elect Foreign Permanent Establishment Exemption? 28:45 Non Resident operating ships or aircraft in the UAE - How their exemption 30:55 Review of Article 22 of UAE Corporate Tax Law - Exempt Income 35:46 Review of Article 23 of UAE Corporate Tax Law- Participating Interest Exemption 40:20 Review of Article 24 of UAE Corporate Tax Law - Foreign Permanent Establishment Exemption 42:33 Review of Article 25 Non-resident operating ships and aircrafts in international transportation 45:00 Ministerial Decision No. 116 of 2023 on participation interest exemption 49:30 Corporate Tax Guide on exempt Income 59:35 Next Chapter #UAETax #CorporateTaxUAE #ForeignPE #Article24 #Article25 #DoubleTaxation #InternationalTax #ShippingTax #AviationUAE #AccountingUAE #TaxConsultant #CFO #FirozTaxAgent ⚖️ Legal Disclaimer The information provided in this video is for educational and informational purposes only and does not constitute professional tax, legal, or financial advice. UAE Corporate Tax laws, Cabinet Decisions, and Ministerial Decisions are subject to change and interpretation by the Federal Tax Authority (FTA). While we strive for accuracy, users should consult with a qualified tax professional or refer to official FTA publications before making any business or compliance decisions. Flying Colour Tax Consultant and Auditing accepts no liability for actions taken based on this content.

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