Your two dates, how long you actually have, and what it costs if you miss them — including the exemption most companies have not noticed.
A penalty needs a breach, and a breach needs facts. This tool will not put a number against your name until you have entered some. Leave everything at zero and you will see the statutory rates and nothing more — which, for most companies reading this today, is the correct answer.
Under Cabinet Decision 106 of 2025. These are separate penalties and they run concurrently, not as alternatives. Three of them carry monthly caps of AED 5,000 each, so the recurring ceiling is AED 15,000 a month — AED 180,000 a year — before the daily notification penalties are counted.
The dates above are when you must be finished. The work that decides whether you make them is not choosing a provider — that takes a week — it is getting your own data into a state the format accepts. Classification of your catalogue, tax numbers collected from your counterparties, transaction type flags configured from decisions your adviser has confirmed.
That is measured in weeks of correspondence, and it cannot be compressed by starting later and working harder.
Send an extract and see how big your gap is · or check your catalogue in your browser first
| Item | Source |
|---|---|
| Wave dates and thresholds | Ministry of Finance e-invoicing programme timetable |
| Penalty amounts | Cabinet Decision 106 of 2025, verified against the published text |
| Voluntary exemption | Article 2(2) of the same decision |
| Provider list | Ministry of Finance register, 42 entries at 23 July 2026. The page is titled pre-approved, which is the Article 15 stage: baseline eligibility. Full accreditation under Article 16 follows separate testing, and providers are at different stages — some publish an accreditation number, others do not. Check the status of the specific provider you are considering rather than assuming. |
Where this page and a source disagree, the source is right. Tell us: hello@involane.com