By Affinitas FZCO — Corporate Structuring, Tax & Investment Advisory

The global family office map is being redrawn — and the United Arab Emirates is emerging as one of the clear winners.

As traditional European hubs tighten tax rules, introduce exit taxes, and dismantle long-standing wealth planning regimes, high-net-worth families are voting with their feet. Increasingly, they are choosing the UAE as their new base for capital, governance, and long-term succession planning.

This is not a temporary trend. It reflects a structural shift in how global wealth is organised.


A Global Context: Why Family Offices Are Moving

Over the last 24 months, several jurisdictions historically favoured by family offices have undergone aggressive tax and regulatory changes:

  • Exit taxes on emigrants
  • Wealth taxes based on fictitious returns
  • Elimination of family investment vehicles
  • Reduced expat regimes and partial residency benefits

For many families, the message has been clear: planning certainty is disappearing.

The UAE, by contrast, has taken the opposite approach — combining international compliance with predictable, investor-friendly frameworks.


What Makes the UAE So Attractive to Family Offices?

1. No Exit Tax, No Wealth Tax

One of the most decisive advantages of the UAE is what it does not impose:

Tax AreaUAE Position
Exit tax❌ None
Net wealth tax❌ None
Inheritance tax❌ None
Capital gains tax (most assets)❌ None
Tax on foreign income❌ None

For family offices planning generational wealth transfers, this alone is often a deal-breaker when comparing jurisdictions.

Source:
🔗 UAE Ministry of Finance – Tax Framework
https://mof.gov.ae


2. Corporate Tax — Predictable, Transparent, Globally Accepted

The UAE’s 9% corporate tax has not reduced its appeal. In fact, it has increased credibility with banks, regulators, and institutional counterparties.

Key points family offices value:

  • Clear participation exemption for dividends & capital gains
  • Qualifying income regimes in Free Zones
  • No surprise retroactive taxation
  • OECD-aligned without being punitive

3. World-Class Legal & Financial Jurisdictions

Family offices are not relocating blindly — they are choosing specific jurisdictions within the UAE that offer international-grade governance.

Most commonly used:

  • Dubai International Financial Centre – common law, independent courts
  • Abu Dhabi Global Market – English law, trust & foundation regimes
  • DMCC, RAKEZ, IFZA – flexible holding & SPV environments

These zones provide:

  • Ring-fenced regulation
  • Recognised court systems
  • Bankability with global institutions

Source:
🔗 DIFC Legal Framework
https://www.difc.ae


4. Substance Without Bureaucracy

Unlike many jurisdictions that impose heavy substance rules with little flexibility, the UAE applies commercially reasonable substance requirements:

  • Physical office where needed
  • Management presence aligned with activity
  • Local staff proportional to scale

This balance allows family offices to remain compliant without operational paralysis.


UAE vs Traditional Family Office Jurisdictions (2025)

FactorUAENetherlandsLuxembourg
Exit taxNoneProposed / activeConditional
Wealth taxNoneYes (Box 3)None
Family investment vehiclesFlexibleVBI abolishedLimited
Regulatory stabilityHighDecliningMedium
Residency pathwaysClearRestrictedComplex
Long-term certaintyStrongWeakeningModerate

Strategic Sectors Attracting Family Office Capital

Family offices relocating to the UAE are not parking capital — they are deploying it.

Most active sectors include:

  • Private credit & alternative lending
  • Technology & AI-linked holdings
  • Energy transition & renewables
  • Real estate (income-generating, not speculative)
  • Healthcare & life sciences

The UAE’s regional access to MENA, Asia, and Africa further strengthens its role as a strategic base.


Expert Insight

“We are seeing a clear shift from tactical relocations to permanent family office migrations. The UAE offers something rare today: stability, tax clarity, and global legitimacy — all at the same time.”
Affinitas FZCO, Family Office Advisory Team


What Family Offices Should Consider Before Relocating

Relocation is not just about tax rates. Poor structuring can create:

  • Banking issues
  • Treaty access problems
  • Future exit complications
  • Substance challenges

Key questions every family office must answer:

  • Holding company or SPV-based structure?
  • Free Zone or financial centre jurisdiction?
  • Governance model for next generation?
  • Residency & succession planning alignment?

How Affinitas FZCO Supports Family Office Relocation

Affinitas FZCO advises international families, founders, and family offices on end-to-end relocation strategy, including:

  • Jurisdiction selection (DIFC, ADGM, Free Zones)
  • Holding & SPV structuring
  • Cross-border tax optimisation
  • Corporate tax & VAT compliance
  • Banking, substance & governance setup
  • Ongoing accounting and reporting

🔗 Family Office Structuring in the UAE


Final Thought

The UAE is not winning family office relocations by accident.
It is winning because it offers what investors need most today:

For families willing to structure correctly and think beyond short-term tax arbitrage, the UAE has become one of the most compelling family office destinations globally.

If you are assessing relocation, restructuring, or future-proofing your family office, early planning is critical — especially as global tax rules continue to tighten.

Affinitas FZCO provides:

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