Can a loan to a related company be interest-free?
TI AssistantNot covered by FTA materialTI Pro
The sources given don't say whether a loan between related companies can be interest-free - they only deal with whether interest paid on such loans can be deducted for tax.
The FTA’s published law and guidance that TI holds does not answer this. That is a result, not an error — the point may not be addressed, or may sit in a document TI does not have.
Helpful?
Ask your own question
Related questions
- What are transfer pricing rules in the UAE?
- What is the arm's length principle?
- Who is a related party for Corporate Tax?
- Who is a connected person for Corporate Tax?
- Do I need to prepare a transfer pricing master file and local file?
- What is the threshold for transfer pricing documentation?
- What is the transfer pricing disclosure form?
- Are payments to directors subject to the connected person rules?
Filing Corporate Tax? Free Corporate Tax return guidance, in 5 easy steps