Transfer Pricing
Related-party pricing, documented.
Transfer-pricing documentation and compliance for groups with related-party and connected-person transactions.
—What we do
Defensible related-party pricing.
For groups with related-party transactions, we prepare the documentation and benchmarking required under the UAE Corporate Tax Law — so intra-group pricing is on an arm's-length basis and ready for FTA review.
- Related-party and connected-person identification
- Arm's-length and benchmarking analysis
- Master file and local file preparation
- Disclosure form support
- Intra-group policy design
- Documentation maintenance and updates
Who this is for
Groups with related-party flows
Multi-entity groups and businesses with connected-person transactions that fall within UAE transfer-pricing requirements.
—Explore further
More from the Corporate Tax practice.
CT Structuring
Group, holdco and operating-company structures aligned to your position.
CT Planning
Forward-looking planning that holds as the law and business evolve.
Registration & Filing
CT registration and annual return filing with the FTA.
—Corporate Tax—
Group with related-party transactions?
Speak to a transfer-pricing specialist.
