Abu Dhabi

Leveraging Public Finance for Spaceports: An Analysis of Recent Amendments for Commercial Space Infrastructure Under IRC § 142

Qatar Courts and Tax Authority take action amidst COVID-19 (Coronavirus) pandemic

Qatar Courts Suspend Hearings for Two Weeks The Supreme Judicial Council of Qatar announced the suspension of hearings of the Appeal Court, the Court of First Instance, labor dispute settlement committees and rental dispute settlement committees as of 15 March 2020, for a period of two weeks. In a press statement, the Council affirmed the

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Ownership

As the Dubai tax dispute committee possibly reforms – does it affect your right to object to tax penalties?

Brief The tax dispute resolution committees were formed pursuant to the Tax Procedures Law, its Executive Regulations, and specifically Cabinet Decision No. 23/2018. The Dubai tax dispute resolution committee (“Dubai TDRC”) was formed pursuant to Ministerial Decision No. 109/2019 which named the primary judge, the two experts, and the alternate judge as the committee members.

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Supreme Court of NSW Enforces Adjudicator's Money Order Amid Ongoing Arbitration

50 Enforcement Updates Under the New UAE Civil Procedure Regulations

A roundup of the 50 most crucial additions, amendments, and deletions to the Civil Procedures Law No. 11 of 1992 that were promulgated pursuant to Cabinet Decision No. 57 of 2018 that came into effect in early 2019: 1. Approving the designation of execution officers instead of representatives and adding the possibility of execution by

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Oman Unveils Commercial Space Framework and Launch Authorization Regime

(COVID-19) 1981 Government opinion on force majeure salary deductions

In 1981, the Department of Fatwa (Legal Advice) and Legislation, the Department at the UAE Ministry of Justice responsible for advising government agencies on legal issues, issued an opinion on whether an employee who had been out of the country on a work-related trip and could not return due to a force majeure event, was eligible to continue

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Exceptional Taxation: UAE Supreme Court Rules on Domestic and Foreign Related Companies' Tax Liabilities

UAE Federal Court Restricts Time Limit on Tax Reconsideration Requests

  Brief One of the most common questions asked regarding tax reconsideration requests is the consequence of not receiving a response from the Federal Tax Authority (“FTA”) within the statutory timeframe of twenty-five weekdays. The UAE Federal Courts have recently addressed this issue in opining that – if no decision is taken on the reconsideration

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UAE Supreme Court 212/2023: Empowering Taxpayers when Evidence is with the FTA

How the New FTA Public Clarifications Guide Affects Tax Disputes

In October – November 2019, the Federal Tax Authority issued an updated Clarifications User Guide (USEG001) replacing its predecessor version from June 2018. Item ‘6′, pg. 10, of the previous version of the Clarification stated that: “Once a response is issued by the FTA, you may decide whether to follow the Clarification provided by the

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