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LATEST ARTICLES
Small Business Tax Relief
In the United Arab Emirates (UAE), the Small Business Relief (SBR) initiative under the Corporate Tax Law offers eligible businesses the option to be treated as having no taxable income for a [...]
Related vs Connected party for Corporate Tax in the UAE
In the context of Transfer Pricing regulations under the UAE Corporate Tax Law, “related parties” and “connected persons” are specifically defined to identify situations where special relationships may influence the pricing of [...]
Corporate Income Tax Summary
Overview of the Corporate Income Tax Regime in the UAE The United Arab Emirates (UAE) introduced a federal Corporate Income Tax (CIT) regime effective June 1, 2023, marking a significant shift in [...]
Registration Requirements for Corporate Tax in the UAE
The United Arab Emirates (UAE), traditionally known for its tax-free status, introduced a 9% corporate tax on business profits exceeding AED 375,000, effective June 1, 2023. Tax Rates: Understanding who must register [...]
Overview of Transfer Pricing Regulations in the UAE
The United Arab Emirates (UAE) introduced Transfer Pricing (TP) regulations as part of its Corporate Tax Law, effective for financial years starting on or after 1 June 2023. These regulations align with [...]
Do UAE Transfer Pricing Rules Apply to You? Here’s What You Need to Know.
Transfer Pricing (TP) in the UAE isn’t a one-size-fits-all rule but if your business works with related parties or forms part of a multinational group, it likely affects you. Whether you’re setting [...]
HOW TAX RESIDENCY WORKS FOR SOUTH AFRICAN CITIZENS
Tax Emigration = Breaking Tax Residency South Africa Taxes are Based on Residency, Not Citizenship Just because you’re a South African citizen doesn’t mean you’ll always be taxed by SARS. What matters is whether [...]
EXPAT TAX RETURNS FOR SOUTH AFRICANS
You have ceased your South African Tax residency or are working abroad. What now? South African residents are taxed on their worldwide income. Even if you are working abroad, you are still [...]
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