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Clarification on Taxation of Shares & Securities for Investment Purposes – UAE Free Zone Corporate Tax Update (May 2025)

UAE Corporate Tax Clarification for Free Zone Investors

The UAE has issued an important clarification regarding the taxation of shares and securities for investment purposes under the Free Zone Corporate Tax regime.

This update directly impacts:

  • Holding companies in UAE Free Zones

  • Investment vehicles

  • Group holding structures

  • Free Zone entities earning dividend income

  • Companies holding shares for capital appreciation

Understanding this clarification is essential for businesses seeking to maintain eligibility for the 0% Corporate Tax Free Zone UAE benefit.


Applicable Corporate Tax Rules in UAE

Under Federal Decree-Law No. 47 of 2022, a Qualifying Free Zone Person (QFZP) may benefit from a 0% Corporate Tax rate on Qualifying Income (QI), provided specific conditions are satisfied.

One of the recognized Qualifying Activities includes:

Holding of shares and other securities for investment purposes

However, this activity is not intended to apply to companies engaged in the day-to-day trading of shares or securities, such as stock trading firms.


Key Clarification: Intent Matters — Not Just Duration

Previously, there was market uncertainty regarding whether shares must be held for at least 12 months to qualify as an investment.

The new clarification confirms:

✅ Shares and securities may still meet the investment condition
✅ Even if disposed of before 12 months
✅ Provided there was a genuine, evidenced intention to hold them long-term

This means that:

  • The motive at acquisition is critical

  • Investment intention outweighs pure holding period

  • Documentation and commercial reasoning are essential

Income derived from such investments can qualify for the 0% Corporate Tax rate, assuming all QFZP requirements are met.

Why This Clarification Is Important

This update resolves a major compliance concern for:

  • Investment holding companies

  • Private equity structures

  • Group treasury entities

  • Strategic shareholders

It confirms that short-term disposal does not automatically convert an investment into a trading activity — if the original intent was long-term capital appreciation or dividend yield.


How to Determine “Investment Purpose” Under UAE Corporate Tax

When assessing whether shares or securities are held for investment purposes, authorities may consider the following factors:


1️⃣ Circumstances of Acquisition

Key questions include:

  • Why were the shares acquired?

  • Was the purpose capital appreciation?

  • Was dividend income expected?

  • Was it part of a strategic group restructuring?

The overall commercial rationale must support a long-term investment objective rather than short-term resale.


2️⃣ Circumstances of Disposal

 
Clarification on Taxation of Shares & Securities for Investment Purposes – UAE Free Zone Corporate Tax Update (May 2025)

Authorities may assess:

  • Why were the shares sold?

  • Was disposal triggered by unforeseen circumstances?

  • Was it part of a restructuring or exit strategy?

An early disposal due to business necessity does not automatically negate investment intent.


3️⃣ Duration of Ownership

While duration is relevant, it is not the sole determinant.

  • A holding period under 12 months can still qualify

  • Longer holding periods generally support investment intent

  • Duration must be evaluated together with other factors

High transaction frequency may indicate:

  • Active trading activity

  • Revenue-focused short-term strategy

Lower transaction frequency supports:

  • Long-term investment approach

  • Capital gain strategy


Investment vs Trading – Critical Distinction

Investment PurposeTrading Activity
Long-term capital appreciationShort-term profit from resale
Dividend incomeRevenue generation from frequent buying/selling
Strategic group holdingMarket speculation
Limited transactionsHigh-frequency transactions

This distinction is crucial for maintaining 0% Corporate Tax eligibility for Free Zone entities.


What Free Zone Businesses Should Do Now

Businesses should:

  • Review shareholding structures

  • Document investment strategy clearly

  • Maintain board resolutions and acquisition rationale

  • Separate trading activity from investment holdings

  • Ensure compliance with QFZP conditions

Proper documentation is critical in case of review by the UAE tax authorities.


How Prodigy Group UAE Can Assist

At Prodigy Group UAE, we provide expert advisory on:

  • Free Zone Corporate Tax eligibility

  • Investment vs trading classification

  • Holding company structuring

  • Corporate Tax compliance UAE

  • QFZP qualification assessment

  • Strategic tax advisory for investors

If your Free Zone entity earns income from shares or securities, this clarification could directly impact your Corporate Tax position.

📞 Contact Prodigy Group UAE for a comprehensive tax assessment and compliance review.

📌 Get Instant Assistance

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