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Corporate Tax Update: Advance Pricing Agreement in the UAE

By July 22, 2024January 22nd, 2026Direct Tax, Tax Updates

The Federal Tax Authority has recently issued Decision No. 4 of 2024, dated June 12, 2024, and effective from July 1, 2024, specifying that the start date for receiving applications for advance pricing agreements and procedures related to the submission of applications and the issuance of agreements will be announced in the fourth quarter of 2024.

What is an Advance Pricing Agreement (APA)?

An Advance Pricing Agreement (APA) is a pre-emptive arrangement between a taxpayer and the tax authority that determines, in advance, the transfer pricing methodology for pricing the taxpayer’s international transactions for a specified period. This programme helps businesses mitigate the risk of transfer pricing adjustments and potential disputes with tax authorities.

1. Certainty & Predictability: APAs provide businesses with greater certainty regarding their tax obligations, allowing them to plan their finances more effectively.

2. Reduced Risk of Audits: With an APA in place, taxpayers can minimize the risk of transfer pricing audits and the associated administrative burden.

3. Enhanced Compliance: The APA programme encourages proactive compliance, fostering a cooperative relationship between taxpayers and the tax authority.

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