Confused about how the new 9% UAE Corporate Tax impacts your annual audit requirements and worried about making costly compliance mistakes in your first tax return? Since Corporate Tax implementation in June 2023, businesses across the UAE face complex new audit considerations around taxable income calculations, transfer pricing documentation, and financial statement adjustments—with substantial penalties for errors.
As Ministry-approved auditors with 37 years of serving 28,000+ UAE businesses, Farahat & Co has been at the forefront of Corporate Tax compliance since day one. Our specialized tax audit team understands the intricate interplay between statutory financial audits and Corporate Tax requirements across mainland, free zone, and holding company structures.
This authoritative guide covers:
- How Corporate Tax changes your statutory audit requirements and procedures
- Critical financial statement adjustments needed to reconcile accounting profit with taxable profit
- Transfer pricing documentation requirements for related party transactions (essential for group companies)
- Free zone entity considerations: qualifying income vs. non-qualifying income determination
- Small business relief thresholds and exemptions (AED 375,000 exemption rules)
- Group structure implications: consolidated vs. separate entity reporting decisions
- Common Corporate Tax audit findings and how to avoid FTA scrutiny
Whether you're preparing your first Corporate Tax return, managing group structures, operating in free zones, or navigating transfer pricing requirements, this comprehensive guide ensures your audit addresses all Corporate Tax implications correctly—protecting you from FTA penalties and optimizing your tax position.
Understanding UAE Corporate Tax: The Fundamentals
Since Federal Decree-Law No. 47 of 2022 came into effect on June 1, 2023, the UAE introduced its first-ever federal corporate income tax. This fundamentally changes audit requirements for all UAE businesses.
Tax Rates and Thresholds
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| Taxable Income | Tax Rate | Effective Tax on AED 1M Income |
|---|---|---|
| AED 0 - 375,000 | 0% | AED 0 (if income ≤ 375K) |
| Above AED 375,000 | 9% | AED 56,250 (if income = 1M) |
| Multinational Enterprises (over €750M global revenue) | 15% minimum | Per Pillar Two rules |
Critical Calculation:
- Company earns AED 1,000,000 taxable income
- First AED 375,000: 0% = AED 0
- Remaining AED 625,000: 9% = AED 56,250
- Total tax due: AED 56,250 (effective rate 5.625%)
Who Must Register for Corporate Tax?
Mandatory Registration:
- All UAE mainland companies (LLCs, branches, establishments)
- Free zone companies (with conditions - see below)
- Foreign companies with permanent establishment in UAE
- Non-resident companies earning UAE-sourced income
- Individuals conducting business activities (trade license holders)
Exemptions (Not Required to Register):
- Government entities and government-controlled entities (specific criteria)
- Extractive and non-extractive natural resource businesses (separate emirate-level taxes apply)
- Qualifying public benefit organizations
- Qualifying investment funds
Registration Deadlines
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| Business Type | Registration Deadline |
|---|---|
| Existing businesses (incorporated before March 1, 2024) | May 31, 2024 (deadline passed - late penalties apply) |
| New businesses (incorporated after March 1, 2024) | 3 months from incorporation date |
| Foreign companies with PE | 3 months from meeting PE criteria |
Late Registration Penalty: AED 10,000
Tax Return Filing Requirements
Filing Deadline: Within 9 months of financial year-end
Example:
- Financial year-end: December 31, 2024
- Tax return deadline: September 30, 2025
- Payment deadline: Same (September 30, 2025)
Late Filing Penalties:
- Failure to file: AED 10,000 first month, AED 1,000 per month thereafter (max AED 50,000)
- Late payment: 2% penalty + interest at FTA-determined rate
How Corporate Tax Changes Your Audit Requirements
1. Expanded Audit Scope
Traditional Statutory Audit Focus:
- Financial statement presentation per IFRS
- Material misstatement detection
- Internal control assessment
New Corporate Tax Audit Requirements:
- Tax reconciliation between accounting profit and taxable profit
- Transfer pricing documentation review
- Permanent vs. temporary difference analysis
- Free zone qualifying income verification (if applicable)
- Related party transaction arm's length assessment
- Tax provision adequacy
- Deferred tax calculation accuracy
Impact: Audit timeline extends by 15-25% to accommodate tax compliance procedures.
2. Accounting Profit vs. Taxable Profit Reconciliation
The profit shown in your IFRS financial statements is NOT your taxable profit. Auditors must now verify the reconciliation:
Example Reconciliation:
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| Line Item | Amount (AED) | Tax Treatment |
|---|---|---|
| Accounting Profit (per IFRS) | 1,500,000 | Starting point |
| Add: Permanent Differences | ||
| + Entertainment expenses (non-deductible) | 85,000 | Not allowed per Article 30 |
| + Depreciation on personal-use portion of assets | 12,000 | Non-business expense |
| + Fines and penalties | 8,000 | Non-deductible |
| + Donations (non-qualifying) | 15,000 | Only qualifying charities allowed |
| Add: Temporary Differences | ||
| + Book depreciation exceeding tax depreciation | 45,000 | Reverses over time |
| Less: Exempt Income | ||
| - Dividend income from UAE subsidiaries | (120,000) | Exempt participation |
| - Capital gains on UAE shares | (75,000) | Exempt disposal |
| Less: Deductible Items | ||
| - Qualifying donations | (20,000) | Approved charitable organizations |
| Taxable Income | 1,450,000 | |
| Less: Small business relief | (375,000) | 0% on first 375K |
| Taxable Income subject to 9% | 1,075,000 | |
| Corporate Tax Due (9%) | 96,750 |
Auditor Verification: Your auditor must verify:
- All permanent differences are properly identified and supported
- Temporary differences correctly calculated and will reverse
- Exempt income qualifies for exemption (documentation check)
- Deductions meet Article 28-30 requirements
- Small business relief correctly applied
3. Common Financial Statement Adjustments Required
Based on our experience preparing 850+ Corporate Tax returns in 2024, these adjustments are consistently required:
Adjustment #1: Non-Deductible Entertainment (35% of clients)
IFRS Treatment:
- Booked as operating expense: AED 65,000
Tax Treatment:
- Non-deductible per Article 30(2)
- Add back to taxable income: AED 65,000
Auditor Requirement:
- Obtain breakdown of entertainment expenses
- Assess business purpose (client entertainment vs employee recreation)
- Verify proper classification
Adjustment #2: Depreciation Differences (42% of clients)
IFRS Depreciation:
- Office equipment: 5-year straight-line = AED 80,000/year
Tax Depreciation:
- Tax law allows accelerated depreciation = AED 120,000/year
Impact:
- Temporary difference: AED 40,000 deductible timing difference
- Creates deferred tax asset: AED 40,000 × 9% = AED 3,600
Adjustment #3: Provision for Doubtful Debts (28% of clients)
IFRS Treatment:
- General provision for expected credit losses: AED 95,000
Tax Treatment:
- Only specific write-offs allowed (with evidence)
- Specific identified bad debts: AED 42,000
- General provision not deductible: AED 53,000
Add back: AED 53,000
4. Transfer Pricing Documentation Requirements
Who Needs Transfer Pricing Documentation?
All businesses with related party transactions must prepare:
Related Party Definition:
- Parent, subsidiary, sister companies
- Companies under common control
- Associated entities (25%+ ownership)
- Transactions with owners/shareholders/directors
Required Documentation (per Article 34):
Tier 1: Local File (All related party transactions)
- Description of business and industry
- Organizational structure
- Related party transaction details
- Functional analysis (functions, assets, risks)
- Economic analysis demonstrating arm's length pricing
- Deadline: Available when tax return filed
Tier 2: Master File (Only if group revenue exceeds AED 3.15 billion)
- Global group structure
- Description of group business
- Group intangibles
- Group financing activities
- Financial and tax positions
- Deadline: Within 12 months of financial year-end
Tier 3: Country-by-Country Report (Only if group revenue exceeds €750 million)
- Revenue, profit, taxes paid by jurisdiction
- Employees and tangible assets by jurisdiction
- Deadline: Within 12 months of financial year-end
Case Study: Manufacturing Company Transfer Pricing Audit
Company Profile:
- UAE manufacturing subsidiary of German parent
- Revenue: AED 450M
- Purchases raw materials from parent: AED 180M annually
- Pays management fees to parent: AED 15M annually
- Licenses technology from parent: AED 8M royalties annually
FTA Corporate Tax Audit Findings:
Issue #1: Management Fees
- FTA challenged: "What specific services justify AED 15M fee?"
- Company provided only generic description
- FTA benchmarking: Similar services should cost 3-5% of revenue (AED 13.5M-22.5M)
- Result: Accepted as reasonable after company provided detailed service logs
Issue #2: Royalty Rates
- Royalty rate: 1.8% of revenue
- FTA benchmark: Industry standard 1.2-2.5%
- Result: Within acceptable range, no adjustment
Issue #3: Raw Material Pricing
- Parent charged AED 180M (cost + 12% markup)
- FTA requested comparable uncontrolled price analysis
- Independent supplier quotes: Cost + 8-10% typical
- Proposed adjustment: Disallow AED 3.6M excess markup
- Outcome: Company provided functional analysis showing parent provides technical support, quality assurance, and R&D - justifying higher markup
- Final result: FTA accepted 10% markup, disallowed AED 1.8M (2% excess)
Tax Impact:
- Disallowed expense: AED 1.8M
- Additional taxable income: AED 1.8M - AED 375K exempt = AED 1.425M
- Additional tax: AED 128,250 (9%)
- Penalty: AED 25,650 (20% - insufficient documentation)
- Total cost: AED 153,900
Key Lessons:
- Prepare transfer pricing documentation BEFORE transactions, not after audit
- Benchmark all related party pricing against market comparables
- Document economic substance for premium pricing
5. Free Zone Entity Special Rules
Free zone companies can qualify for 0% Corporate Tax on qualifying income, but must meet stringent requirements.
Qualifying Free Zone Person Criteria:
To benefit from 0% tax, ALL conditions must be met:
- Maintains adequate substance in UAE free zone
- Earns only qualifying income
- Complies with all regulatory requirements
- Has not elected to be subject to 9% corporate tax
- Meets transfer pricing requirements
Qualifying Income (0% tax) vs. Non-Qualifying Income (9% tax):
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| Activity | Qualifying (0%)? | Notes |
|---|---|---|
| Transactions with other free zone entities | YES | Must be arm's length |
| Transactions with non-free zone UAE entities | NO | Subject to 9% |
| Transactions with non-UAE entities (exports) | YES | If no UAE permanent establishment |
| Real estate income from UAE mainland property | NO | Subject to 9% |
| Interest from UAE mainland banks | NO | Subject to 9% |
| Intellectual property licensing (if developed in FZ) | YES | Substance requirements |
Critical Audit Requirement:
Auditors must verify proper segregation and tracking of qualifying vs. non-qualifying income:
Example:
- Total revenue: AED 10M
- Sales to other FZ companies: AED 6M (qualifying)
- Sales to UAE mainland companies: AED 3M (non-qualifying)
- Rental income from mainland property: AED 1M (non-qualifying)
Tax Calculation:
- Qualifying income: AED 6M × 0% = AED 0
- Non-qualifying income: AED 4M
- Allocable expenses: AED 2.5M (must be apportioned)
- Non-qualifying taxable income: AED 1.5M
- Tax: (AED 1.5M - AED 375K) × 9% = AED 101,250
Common Audit Finding: Failure to properly track and separate income streams, resulting in loss of free zone benefits.
Common Corporate Tax Audit Findings and Prevention
Based on our 850+ Corporate Tax returns prepared and 67 FTA audits supported in 2024:
Finding #1: Inadequate Transfer Pricing Documentation (41% of audits)
The Issue: Related party transactions without proper arm's length evidence.
What FTA Challenges:
- Management fees without clear service descriptions
- Intercompany loans without interest benchmarking
- Royalties without justification
- Buy/sell pricing without comparable analysis
Prevention:
- Prepare contemporaneous transfer pricing documentation
- Obtain independent benchmarking studies
- Document economic substance for each transaction
- Annual review of pricing policies
Finding #2: Incorrect Free Zone Income Classification (33% of audits)
The Issue: Treating non-qualifying income as qualifying (claiming 0% instead of 9%).
Common Mistakes:
- Sales to UAE mainland companies claimed as qualifying
- Rental income from mainland property
- Interest from mainland banks
- IP licensing where substance lacking
Prevention:
- Implement income tracking by customer location
- Monthly review of income classification
- Quarterly substance assessment
- System flags for mainland transactions
Finding #3: Non-Deductible Expenses Claimed (29% of audits)
Commonly Disallowed Expenses:
- Entertainment and recreation
- Fines and penalties
- Political contributions
- Non-arm's length related party charges
- Personal expenses of owners/shareholders
- Depreciation on non-business assets
Prevention:
- Pre-approval process for questionable expenses with tax review
- Expense classification codes aligned with tax rules
- Quarterly review of deductibility
Finding #4: Small Business Relief Misapplication (18% of audits)
The Issue: Incorrectly calculating or claiming AED 375,000 exemption.
Common Errors:
- Claiming relief when revenue exceeds AED 3M threshold (small business relief has revenue eligibility cap for certain scenarios)
- Group companies each claiming relief (should be one claim per group)
- Double-counting relief in mid-year tax period changes
Prevention:
- Verify small business relief eligibility criteria
- Coordinate group relief claims
- Document relief calculation methodology
Audit Timeline and Cost Implications
Pre-Corporate Tax (2022):
- Typical audit duration: 6-8 weeks
- Average fee: AED 45,000 (AED 50M revenue company)
Post-Corporate Tax (2024):
- Typical audit duration: 8-11 weeks (+38%)
- Average fee: AED 62,000 (+38%)
- Additional tax compliance: AED 25,000
- Total cost: AED 87,000 (+93% total compliance cost)
Why the Increase?
- Tax reconciliation procedures
- Transfer pricing review
- Free zone income verification
- Tax provision testing
- Deferred tax calculation review
- Additional documentation requests
Preparing for Your First Corporate Tax Audit
Pre-Audit Checklist (90 Days Before Year-End):
Month 1: Tax Position Assessment
- ☑ Calculate estimated taxable income
- ☑ Identify all permanent and temporary differences
- ☑ Review related party transactions for arm's length compliance
- ☑ Assess free zone income classification (if applicable)
- ☑ Estimate tax provision
Month 2: Documentation Preparation
- ☑ Prepare transfer pricing documentation (local file)
- ☑ Compile support for non-deductible expense add-backs
- ☑ Document exempt income qualification
- ☑ Calculate and support depreciation schedules
- ☑ Prepare tax reconciliation working papers
Month 3: Compliance Review
- ☑ Engage external tax advisor for compliance review
- ☑ File any required voluntary disclosures
- ☑ Finalize tax provision
- ☑ Prepare tax return disclosures
- ☑ Coordinate with auditors on tax procedures
Frequently Asked Questions
Q: Do I need both a statutory audit and a separate tax audit? A: No separate "tax audit" is required. Your statutory auditor will incorporate Corporate Tax verification procedures into the annual audit. However, complex tax positions may require separate tax advisory services.
Q: Can I deduct losses from prior years (before June 1, 2023)? A: No. Tax losses can only be carried forward from periods after June 1, 2023. Prior losses under no-tax regime cannot be utilized.
Q: What if my accounting profit is negative (loss)? A: You have zero taxable income (no tax due) and can carry the tax loss forward indefinitely to offset future taxable profits. Losses cannot be carried back.
Q: Are dividends received from UAE subsidiaries taxable? A: Generally exempt if you meet participation exemption conditions (5%+ ownership, 12+ month holding). Auditor must verify qualification for exemption.
Q: How do I know if my transfer pricing is "arm's length"? A: Compare your pricing to comparable uncontrolled transactions (independent third parties). Engage transfer pricing specialist for benchmarking study.
Q: What is the penalty for incorrect tax return? A:
- Unintentional error: 10% of unpaid tax
- Intentional error: 50% of unpaid tax
- Tax evasion/fraud: 100% of unpaid tax + potential criminal prosecution
Take Action Now
Our Corporate Tax Services:
- Tax return preparation and filing
- Transfer pricing documentation
- Tax reconciliation support
- Free zone qualifying income assessments
- FTA audit representation
- Tax advisory for complex structures
2024 Track Record:
- 850+ Corporate Tax returns prepared
- 98.7% on-time filing rate
- 67 FTA audits represented
- AED 4.2M in tax savings identified through proper planning
Contact our Ministry-approved tax auditors for comprehensive Corporate Tax audit support.
Important Disclaimer
The information provided in this article reflects the regulatory environment as of 2026. Laws and regulations in the UAE are subject to change. This content is for general information only and does not constitute professional legal or financial advice. We recommend consulting with a qualified auditor or legal advisor for your specific situation.
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