• skpco.info@skparekh.com
  • +91 22 6617 8100
  • Home
  • About Us
    • About Us
    • History
    • People
    • Leadership team
  • Services
    • Services
    • Assurance
    • Tax
      • Tax
      • Direct Tax Services
      • Indirect Tax Services
    • Transaction Advisory
  • Insights
  • Join Us
  • Contact Us
  • More
    • Back
Home |Insights

Key takeaways from Ministerial Decision on Participation Exemption

Key takeaways from Ministerial Decision on Participation Exemption

26 May 2023Tax

As per Article 23, specified income from participating interest is exempt from Corporate Tax in UAE (CT). As per Clause 2 of the said Article, a participating interest represents a 5% or greater ownership in the Participation.

The notification from the UAE’s Finance Ministry clarifies various aspects and conditions for availing Participation Exemption.

Related Insights

Budget 2026 – A Structural Reset of Safe Harbour Provisions and Fast Track APA for IT Services

02 Feb 2026Tax
Read More

MNEs Trumped by Tariffs: Rethinking Value Chains Through Transfer Pricing

25 Apr 2025Tax
Read More

Key highlights of FTA’s guide on determining taxable income

09 Aug 2024Tax
Read More

Recent Insights

  • SEBI Mandates Reporting of AIF NAV to Depositories
  • RBI Notifies Amendments to the External Commercial Borrowing (ECB) Framework
  • SA 260 Revisited: Strengthening Communication Between Auditors and Those Charged with Governance
  • Segment Reporting as a Focus Area for Regulators
  • Ethical Considerations in Using External Experts in Assurance and Related Services Engagement
View All

Area Of Topics

  • Tax
  • Assurance

SUBSCRIBE TO OUR INSIGHTS

We are constantly working on sharing relevant alerts & publications to keep you informed on the latest developments.

SUBSCRIBE
  • About Us
    • History
    • People
    • Leadership team
  • Services
    • Assurance
    • Tax
    • Transaction Advisory
  • Insights
  • Join Us
  • Contact Us
  • Privacy Policy
  • Site Map

Contact Us

Email : skpco.info@skparekh.com

Follow Us

  • linkedin
© 2026 Sudit K. Parekh & Co. LLP. All Rights Reserved | Disclaimer | Site Map