Penalties for the UAE Corporate Tax

Administrative Penalties for the UAE Corporate Tax 2024

No. 

Description of Violation 

Administrative Penalty Amount in AED

1

Failure of the Person conducting a Business or

Business Activity or having a Tax obligation

under the Tax Procedures Law or the

Corporate Tax Law to keep the required

records and other information specified in the

Tax Procedures Law and the Corporate Tax

Law.

One of the following penalties shall apply:

1. 10,000 for each violation.

2. 20,000 in each case of repeated

violation within 24 months from the

date of the last violation.

2

Failure of the Person conducting Business or

Business Activity or having a Tax obligation

under the Tax Procedures Law or the

Corporate Tax Law to submit the data, records

and documents related to Tax in Arabic to the

Authority when requested.

5,000

3

Failure of the Registrant to submit a

deregistration application within the

timeframe specified in the Corporate Tax Law

and its implementing decisions.

1,000 in case of late submission of the

application and on the same date

monthly, up to a maximum of 10,000.

4

Failure of the Registrant to inform the

Authority of any case that may require the

amendment of the information pertaining to

his Tax record kept by the Authority.

1. 1,000 for each violation.

2. 5,000 in each case of repeated

violation within 24 months from the

date of the last violation.

5

Failure of the Legal Representative to provide

notification of their appointment within the

specified timeframes, in which case the

penalties will be due from the Legal

Representative's own funds.

1,000

6

Failure of the Legal Representative to file a Tax

Return within the specified timeframes, in which case the penalties will be due from the

Legal Representative's own funds.

1. 500 for each month, or part thereof,

for the first twelve months. 2. 1,000 for each month, or part thereof,

from the thirteenth month onwards.

This penalty shall be imposed from the

day following the expiry date of the

timeframe within which the Tax Return

must be submitted, and on the same date

monthly thereafter.

7

Failure of the Registrant to submit a Tax Return

within the timeframe specified in the

Corporate Tax Law.

1. 500 for each month, or part thereof,

for the first twelve months.

2. 1,000 for each month, or part thereof,

from the thirteenth month onwards.

This penalty shall be imposed from the

day following the expiry date of the

timeframe within which the Tax Return

must be submitted, and on the same date

monthly thereafter.

8

 Failure of the Taxable Person to settle the

Payable Tax.

1. A monthly penalty of 14% per annum,

for each month or part thereof, on the

unsettled Payable Tax amount from

the day following the due date of

payment and on the same date

monthly thereafter.

2. For the purposes of this penalty, the

due date of payment in the case of the

Voluntary Disclosure and Tax

Assessment, shall be as follows:

a. 20 Business Days from the date of

submission, in the case of a

Voluntary Disclosure.

b. 20 Business Days from the date of

receipt, in the case of a Tax

Assessment.

9

The Registrant submits an incorrect Tax

Return.

500, unless the Person corrects his Tax

Return before the expiry of the deadline for the submission of the Tax Return

according to the Corporate Tax Law.

10

The submission of a Voluntary Disclosure by

the Taxable Person in relation to errors in the

Tax Return, Tax Assessment or Tax refund

application pursuant to Clauses 1 and 2 of

Article 10 of the Tax Procedures Law.

A monthly penalty of 1% on the Tax

Difference, for each month or part

thereof, to be applied as of the date

following the due date of the relevant Tax

Return, the submission of the Tax refund

application, or the Notification of the Tax

Assessment and until the date the

Voluntary Disclosure is submitted.

11

Failure of the Taxable Person to submit a

Voluntary Disclosure in relation to errors in the

Tax Return, Tax Assessment or Tax refund

application pursuant to Clauses 1 and 2 of

Article 10 of the Tax Procedures Law, before

being notified by the Authority that it will be

subject to a Tax Audit.

The following penalties shall apply:

1. A fixed penalty of 15% on the Tax

Difference.

2. A monthly penalty of 1% on the Tax

Difference, for each month or part

thereof, to be applied as follows:

a. Where the Taxable Person submits

a Voluntary Disclosure after being

notified that it will be subject to a

Tax Audit by the Authority, the

penalty shall be imposed for the Tax Assessment and until the date

of issuance of the Tax Assessment.

12

Failure of a Person subject to Tax Audit, his Tax

Agent or Legal Representative to offer

facilitation to the Tax Auditor in violation of

the provisions of Article 20 of the Tax

Procedures Law, in which case the penalties

will be due from the Person’s, Legal

Representative’s or Tax Agent’s own funds, as

applicable.

20,000

13

Failure of a Person to submit, or late

submission of a Declaration to the Authority,

as required in accordance with the provisions

of the Corporate Tax Law.

1. 500 for each month, or part thereof,

for the first twelve months.

2. 1,000 for each month, or part thereof,

from the thirteenth month onwards.

This penalty shall be imposed from the

day following the expiry date of the

timeframe within which the Declaration

must be submitted, and on the same date

monthly thereafter.

14

. Failure of the Taxable Person to submit a Tax

Registration application within the timeframe

specified by the Authority in accordance with

the Corporate Tax Law. 

10,000

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