| Legal Updates | Description | |
| United Arab Emirates (UAE) | ||
| Corporate Tax (‘CT’) | The UAE Ministry of Finance (‘the MoF’) issued Ministerial Decision No. 24 of 2026 on the implementation of the Research & Development (‘R&D’) Tax Credit regime. Effective for tax periods commencing on or after 1 January 2026, this marks a significant initiative in strengthening the nation’s innovation ecosystem. The Decision sets out detailed provisions covering applicable R&D Tax Credit rates, eligibility criteria for qualifying activities, definitions of eligible expenditure, and robust anti-abuse measures | |
| Excise Tax | The UAE Federal Tax Authority (‘the FTA’) released updated Public Clarification on excise tax EXTP014 on Natural Shortage of Excise Goods, outlining the conditions, reporting, and declaration procedures for its treatment within Designated Zones | |
| UAE Taxes |
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| Dubai Customs |
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| E-Invoicing | The MoF published an updated list of Pre Approved Accredited Service Providers (‘ASPs’) for e invoicing on its official website, increasing the number of providers to twenty one, ensuring that businesses have a broader range of ASPs for preparing upcoming e-invoicing compliance requirements | |
| Money Laundering / Terrorist Financing Risk (‘ML’/TF’) Assessment | The Ministry of Economy & Tourism (‘the MOET’) extended the submission timeline for the 2025 ML/TF Risk Assessment Data Collection for Designated Non Financial Businesses and Professions (‘DNFBPs’) as under:
Subsequently, the Ministry further extended the deadline for the aforementioned DNFBPs to 24 April 2026, as reflected on the MOET portal |
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| Sultanate of Oman | ||
| E-invoicing |
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| Qatar | ||
| Withholding Tax (WHT) | The Qatari Council of Ministers issued Decision No. 4 of 2026 , establishing the “trusted entity” scheme, which enables approved entities to directly apply for WHT relief under applicable double taxation treaties. Effective from 16 March 2026, the Decision amends certain provisions under the Executive Regulations of the Income Tax Law No. (24) of 2018, with the objective of enhancing investment environment and streamlining treaty relief | |
| Double Tax Avoidance Agreement (‘DTAA’) | Qatar officially ratified its income and capital tax treaty with Kuwait through the publication of Amiri Decree No. (1) in its Official Gazette. The treaty will enter into force upon exchange of ratification instruments, marking a significant milestone in bilateral tax cooperation between the two nations | |
| Kingdom of Bahrain | ||
| Value Added Tax (‘VAT’) | Bahrain’s National Bureau for Revenue released the updated version of the VAT Real Estate Guide, Version 1.6, updating its guidance on the VAT treatment of real estate transactions in the Kingdom and introducing targeted clarifications rather than fundamental changes to the existing framework | |
| State of Kuwait | ||
| DTAA | Kuwait ratified the amending protocol to the Jordan–Kuwait Income Tax Treaty (2001), through the publication of the Decree-Law No. 12 of 2026. The protocol was originally signed on November 13, 2025 | |