Tax Residence under UAE Legislation

Authors

  • Associate Professor Mona Mahmoud Idelbi College of Law - University of Sharjah

DOI:

https://doi.org/10.35246/r3ahsa06

Keywords:

Tax Territoriality, Tax Domicile, Resident Person, Non-Resident Person, Double Taxation, Tax Avoid

Abstract

The tax law, like other laws, is a manifestation of state sovereignty, as each state exercises all its powers within the scope of its territory without exceeding the borders of other, which is expressed in the principle of territoriality of the tax law, This means that every country cannot impose its taxes outside its borders, this thing may be a natural in the past where the activity of individuals did not pass the borders of their countries, but under the economic development and the activation of trade exchange between countries and investments which exceeding the borders of regions, and the emergence of the multinational companies, all of these made The world as one village, so it will be necessary to determine the tax domicile differently, according international standards, because it related to huge revenues that countries may lose as a result of applying the old concept . It is also necessary to point out the weak points in this regard, which the legislator must reconsider and amend to ensure proper implementation of the law to achieve its goals at all levels.

The Emirati legislator has stipulated this in the Tax Procedures Law and its Executive Regulations, as well as in the Corporate and Business Tax Law, and in multiple administrative regulations, so it will be necessary to prepare a comprehensive study of all the provisions of tax domicile in accordance with Emirati legislation, especially UAE is one of the most important investment destinations in the world.

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References

First: Books and periodicals:

I. Shawabkeh, Salem. Double taxation in taxes on income and methods of avoiding it with a comparative applied study. Damascus University Journal for Economic and Legal Sciences, Vol. 21, No. II, 2005, p. 62.

II. Al-Sattouf, Muhammad Al-Hussein, Rakaj, Muhammad Al-Khalaf Yahya. An analytical study of the payroll and wages tax in Syria, Journal of Economic and Legal Sciences. Tishreen University. Syria,. Vol. 25, No. 2 (2003), pp. 65-80.

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IV. My wing, Wafa Yaqoub. The legal status of intelligent robots and the responsibility of their operator. An analytical study in Bahraini and comparative law. Journal of Law, Kuwait University. Number 3, Year 48, September 2024, 413- 457.

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VIII. Allam, Wael. The Status of the International Treaty in the Constitution of the United Arab Emirates, Journal of Sharia and Law, United Arab Emirates University, Vol. 28, No. 59, 2014, pp. 131-190.

IX. Friend, Ramadan. Egypt's gains from the conclusion of double taxation agreements. Egyptian Tax Association. Vol. 7, No. 27, 1997, pp. 148-113.

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Second: Scientific Theses:

I. Jaafar, Ramlet Hussein. Double taxation (an applied study on the United Arab Emirates). Master's Degree in Public Law, University of Sharjah, 2014, p. 24.

II. Abdel Qader, Mustafa Mahmoud. Determine the tax profit of banks. PhD Thesis, Cairo University, 2004, p. 40.

III. Tariq Juma Saeed, Mechanisms of Localization of International Treaties in National Law, "A Comparative Study between Jordanian and Iraqi Legislation", Master's Thesis, Middle East University, Amman, Jordan, 2020.

Third: Laws and Regulations:

I. The Saudi Income Tax Law issued by Royal Decree No. (M/1) dated 15/1/1425 AH and its amendments.

II. Tax Procedures Law No. (28) of 2022.

III. The UAE Corporate and Business Tax Law promulgated by Federal Decree-Law No. (47) of 2022.

IV. Cabinet Resolution No. (74) of 2023 regarding the executive regulations of Federal Decree-Law No. (28) of 2022 on tax procedures.

V. Ministerial Resolution No. 27 of 2023 regarding the implementation of the provisions of Cabinet Resolution No. (85) of 2022.

VI. Cabinet Resolution No. (49) of 2023 regarding determining the categories of businesses or business activities practiced by a resident or non-resident natural person that are subject to corporate tax.

VII. Ministerial Resolution No. (247) of 2023 regarding the issuance of a tax residency certificate for the purposes of international agreements.

VIII. Cabinet Resolution No. (56) of 2023 regarding determining the relationship of a non-resident person in the State for the purposes of Federal Decree-Law No. (47) of 2022 regarding corporate and business tax.

IX. Ministerial Resolution No. (83) of 2023 regarding determining the conditions for not considering the presence of a natural person in the State as a reason for creating a permanent establishment for a non-resident.

X. Ministerial Resolution No. (43) of 2023 regarding the exception from registration for the purposes of Federal Decree-Law No. (47) of 2022 regarding corporate and business tax.

XI. Cabinet Resolution No. (85) of 2022 regarding determining the tax domicile.

XII. Arab Republic of Egypt. Decision of the Council of Ministers No. 991 of 2005 promulgating the Executive Regulations of the Income Tax Law promulgated by Law No. 91 of 2005, Official Gazette, No. 295 (continued), 27 December 2005.

XIII. Corporate Tax Guide, Tax on Income Arising from Foreign Sources Corporate Tax Guide, issued by the Federal Tax Authority, November 2023.

XIV. Explanatory guide regarding Federal Decree-Law No. 47 of 2022 regarding corporate and business tax.

XV. Corporate Tax Guide (Non-Resident Persons) issued by the Federal Tax Authority in October 2023.

Fourth: Foreign References:

I. OECD, Model Agreement on Exchange of information on Tax matters of 2002 (with detailed commentary), 2002, www.OECD.

II. Tax Residency in Egypt: Clarifying Residency Rules for Taxation, eg.andersen.com

III. Joseph Lipari, New York s changes to tax policy have Downsides for Nonresidents, new York Law Journal, April28, 2009.

IV. Tax information and responsibilities for new immigrants to the United States, An official website of the United States Government, Residency under U.S. tax law, internal Revenue service. https://www.irs.gov/7/2/2025:4:25AM.

V. The 4 Income Tax Systems Around the World, finance,6 December, 2023 . .https://nomadcapitalist.com/finance/4-tax- systems/7/2/2025.

VI. Foreign Account Tax Compliance Act (FATCA) – IRS. https://www.irs.gov/businesses/corporations/foreign-account-tax-compliance-act-fatca

Fifth: Websites:

I. https://www.hsbc.ae/content/dam/hsbc/ae/docs/ar/legal/uae-crs-faqs-tax-residency.pdf, 26/5/2024,13.14 PM.

II. www.Tax.gov.ae .

https://tax.gov.ae/ar/taxes/corporate.tax/faqs.aspx. https://taxsummaries.pwc.com/canada/individual/tax-administration .

III. Tax Residency in Egypt: Clarifying Residency Rules for Taxation, eg.andersen.com .

IV. Canda- Individual - Tax administration, 10 December 2024 .

V. Tax information and responsibilities for new immigrants to the United States, An official website of the United States Government, Residency under U.S. tax law, internal Revenue service. https://www.irs.gov/7/2/2025:4:25AM.

VI. Foreign Account Tax Compliance Act (FATCA) – IRS. https://www.irs.gov/businesses/corporations/foreign-account-tax-compliance-act-fatca.

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Published

2025-06-20

How to Cite

Idelbi, Mona. 2025. “Tax Residence under UAE Legislation”. Journal of Legal Sciences 40 (1): 180-221. https://doi.org/10.35246/r3ahsa06.

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