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Printed Books |
Book Language |
English |
Faculty Name |
Nirav Shah |
Package Details |
3rd Edition (2026). Law & Practice Relating to UAE Corporate Tax is an article-by-article commentary on the UAE Corporate Tax regime under Federal Decree-Law No. 47 of 2022 (as amended by Federal Decree-Law No. 60 of 2023), bound together with the complete body of subsidiary legislation that gives it effect. It is built on two layers: an interpretive commentary that takes each Article in turn—analysing its scope, conditions and consequences through worked examples, decision-tree flowcharts and end-to-end multi-entity scenarios—and a consolidated compendium that reproduces the principal Decree-Laws and the full suite of implementing Cabinet, FTA and Ministerial Decisions in full text. Throughout, it incorporates the FTA's own Corporate Tax Guides and reads the domestic rules in their international context—including permanent establishment, transfer pricing, foreign tax credits, treaty interaction, and the Pillar Two top-up tax. It serves as a single working reference that carries the reader from a concept to the controlling Article to the implementing decision, all within the volume. Hardcover Book |
Item Code |
9789375616344 |
Exams |
PROFESSIONAL BOOKS |
Delivery |
Home Delivery within 7-10 days from the date of Payment Confirmation. |
Brand |
Taxmann |
Taxmann's Law & Practice Relating to UAE Corporate Tax - Book By Nirav Shah
Edition : 3rd (2026)
Law & Practice Relating to UAE Corporate Tax is a comprehensive, article-by-article commentary on the United Arab Emirates Corporate Tax regime, read together with the complete body of subsidiary legislation that gives the regime effect. It explains the law as enacted by Federal Decree-Law No. 47 of 2022 (as amended by Federal Decree-Law No. 60 of 2023) and traces each provision from the bare statutory text through its practical operation—who is taxed, on what base, at what rate, with what exemptions, deductions, reliefs and anti-avoidance limits, and against what compliance, registration and penalty framework.
The treatment is deliberately two-layered. The first layer is interpretive commentary that takes each Article in sequence, reproduces it, and then analyses its scope, conditions and consequences with reasoning, worked numerical examples, decision-tree flowcharts and end-to-end multi-entity scenarios. The second layer is a consolidated statutory compendium that reproduces, in full, the principal Decree-Laws plus the entire suite of Cabinet Decisions and Resolutions, Federal Tax Authority Decisions, Ministerial Decisions and a Public Clarification that operationalise the law. The result is a single working reference that lets a reader move from a concept, to the controlling Article, to the implementing decision, without leaving the volume.
The book is written to be useful to a newcomer building a foundation and to a specialist resolving a complex cross-border or structuring question. It also integrates the Federal Tax Authority's own Corporate Tax Guides at the points where they matter, and it situates the UAE regime within the wider international framework—permanent establishment, transfer pricing, foreign tax credits, treaty interaction and the Pillar Two top-up tax—so that the domestic rules are read in their global context.
This book is intended for the following audience:
The Present Publication is the 3rd Edition, updated to reflect Cabinet, Ministerial and Federal Tax Authority decisions issued up to 1st March 2026, with the appendix reproducing instruments through 2026. This book is authored by CA Nirav Shah, with the following noteworthy features:
The coverage of the book is as follows:
The book is organised into two divisions.
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