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Retrospective penalty waivers, installment agreements, tax lawsuits, and class actions are now governed by new regulations

Retrospective penalty waivers, installment agreements, tax lawsuits, and class actions are now governed by new regulations
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An Overview

As a follow-up to Federal Decree-Law No. 28 of 2021, which amended Federal Decree-Law No. 7 of 2017 on Tax Procedures, a new Cabinet Decree No. 105 of 2021 was published on December 28, 2021, which dealt with rules and procedures about administrative penalty waiver and instalment. The new Cabinet Decree will take effect on March 1, 2022.

For the first time since the UAE’s new tax rules took effect in October 2017, the law now:

Instalments of administrative penalties:

The following requirements must be met before a request to pay administrative fines in instalments may be approved:

Waivers of tax penalties are acceptable.

Approval of petitions to waive tax penalties (in part or whole) is contingent on the tax penalties not being linked to any tax evasion charges. The statute is unclear whether ‘crimes’ refers to mere claims or real convictions.

The following are acceptable justifications for granting penalty waivers:

Payment of all taxes via another registered taxpayer’s tax account.

Penalties may be remitted in situations of insolvency or bankruptcy if they were paid before the insolvency or bankruptcy, and it is clear that the insolvency or bankruptcy was not for tax evasion.

Procedure for applying for either a tax penalty instalment or a waiver.

To be considered for an instalment or waiver application, the applicant must submit basic information (tax number, penalty amounts, justifications, etc.) in their applications.

Notably, the taxpayer must assure that the penalties will be paid according to the Committee’s agreed payment plan for instalment requests.

Importantly, for waiver petitions, the taxpayer must assure that the source of the penalty will be corrected and not occur again.

A taxpayer may not apply for the same penalty [ies] more than once.

The underlying application will be nullified and invalid if the undertakings are breached. In other words, if a taxpayer violates an undertaking against a waiver application by repeating the issue, the Federal Tax Authority may re-impose the waived penalty.

Time frame:

The Committee’s Role:

The Committee will be in charge of:

Failure to adhere to an instalment payment plan may result in one of the following:

Penalty waivers in retrospect

The Cabinet Decree empowers the Committee to specify the conditions and procedures governing fines paid during the preceding five years.

If paid penalties are waived retroactively, the paid fines will be credited to the taxpayer’s FTA account within 90 business days or repaid in cash if the person has terminated their tax registration.

Please contact HHS Lawyers and legal consultants if you need any further information or support on this subject.


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