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CORPORATE TAX SERVICES

Benchmarking & Transfer Pricing Compliance

Professional, accurate, and FTA-compliant solutions optimized specifically for your Benchmarking & Transfer Pricing Compliance requirements in the UAE.

Arm's
Length Standard
100%
Defensible Pricing
OECD
Guidelines Followed
Local
Master File Support

Benchmarking & Transfer Pricing Compliance

In the UAE, related party transactions must adhere to the arm's length principle. Fincore provides expert Benchmarking and Transfer Pricing Compliance services, performing rigorous functional analyses and selecting appropriate transfer pricing methods to validate your intercompany pricing.

We prepare robust Local and Master File documentation and TP Disclosure Forms, ensuring your business is fully equipped to defend its transfer pricing policies in the event of an FTA review.

Transfer Pricing Lifecycle Services

Protecting your intra-group transactions from regulatory scrutiny.

01

Functional & Risk Analysis

Detailed evaluation of the functions performed, assets employed, and risks assumed by each related party to determine their appropriate economic characterization.

02

Economic Benchmarking Studies

Utilizing leading global databases to identify comparable independent transactions or companies, establishing a defensible arm's length range for your pricing.

03

Master & Local File Preparation

Drafting comprehensive Master Files (group-level overview) and Local Files (entity-level transaction details) in strict alignment with UAE and OECD guidelines.

04

Transfer Pricing Disclosure Form

Accurate preparation and filing of the mandatory TP Disclosure Form alongside your Corporate Tax return.

Transfer Pricing Deliverables

Comprehensive documentation to support your pricing policies.

Detailed Transfer Pricing Benchmarking Report.
Customized Master File and Local File.
Completed Transfer Pricing Disclosure Form ready for submission.

Transfer Pricing FAQs

Find answers to the most common questions about our Benchmarking & Transfer Pricing Compliance services in the UAE.

Who is required to maintain Transfer Pricing documentation?+
Taxable persons whose revenue exceeds AED 200 million, or those belonging to a Multinational Enterprise (MNE) group with global revenue exceeding AED 3.15 billion, must maintain a Master and Local File.
What is the arm's length principle?+
It requires that the terms and conditions of transactions between related parties are the same as those that would have been agreed upon between independent parties in comparable circumstances.
When is the Transfer Pricing Disclosure form due?+
If required, the TP Disclosure form must be submitted along with your annual Corporate Tax return.
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