Transfer Pricing Consulting in Dubai, UAE
Expert Transfer Pricing Consultant in the UAE
With the UAE’s Corporate Tax framework now firmly in place under Federal Decree-Law No. 47 of 2022, businesses transacting with related parties, whether locally or across borders, are required to follow the Arm’s Length Principle. This means every intercompany transaction must be priced as if it were conducted between two independent parties under comparable circumstances.
The Federal Tax Authority (FTA) requires businesses to maintain proper transfer pricing documentation and disclose related-party transactions in their corporate tax returns. Non-compliance can lead to penalties, adjustments, and tax disputes.
At Map My Books, our transfer pricing consultants help businesses across Dubai and the wider UAE structure, document, and defend their intercompany pricing with confidence. Whether you are part of a multinational group, a UAE holding company, or a free zone entity with cross-border dealings, we provide end-to-end transfer pricing consulting tailored to your business model.
Our Transfer Pricing Services in Dubai, UAE
Transfer Pricing Health Check
We review your existing intercompany transactions and identify compliance gaps before the FTA does.
Transfer Pricing Policy Design
We establish a documented pricing policy aligned with the Arm's Length Principle and UAE Corporate Tax Law, covering goods, services, loans, IP licensing, management fees, and cost-sharing arrangements.
Benchmarking Analysis
We conduct a benchmarking study using comparable market data to validate your pricing, which is the core of any defensible transfer pricing position.
Documentation Preparation
We compile and prepare the full FTA-required documentation package, including the Master File, Local File, and Transfer Pricing Disclosure Form, ensuring everything is accurate, complete, and ready for submission or audit.
Advanced Pricing Agreements (APAs)
We assist with Unilateral, Bilateral, and Multilateral APAs to provide a pre-agreed pricing framework and reduce the risk of future disputes.
FTA Audit Support and Dispute Resolution
We prepare your defence, represent your position, and assist with Mutual Agreement Procedures (MAPs) if cross-border disputes arise.
Free Zone Transfer Pricing Compliance
We support Qualifying Free Zone Persons in meeting documentation requirements while preserving their preferential tax status.
Ongoing Advisory
Year-round support, including annual documentation updates, new transaction reviews, regulatory change monitoring, and staff training.
Who Needs Transfer Pricing Support?
- Multinational companies with UAE subsidiaries or branches
- UAE holding companies with subsidiaries in other jurisdictions
- Free zone entities transacting with related mainland or overseas entities
- Businesses with intercompany loans, IP licensing, or management fee arrangements
- Any company with related-party transactions exceeding AED 40 million
Benefits of Transfer Pricing in UAE
The UAE’s transfer pricing regulations are aligned with OECD guidelines and apply to:
- Transactions between related parties, such as parent-subsidiary and sister companies
- Transactions with connected persons as defined under the Corporate Tax Law
- Cross-border and domestic intercompany dealings
- Free zone companies with transactions involving mainland or offshore entities
Failure to comply can trigger FTA audits, tax adjustments, and significant financial penalties. Working with experienced transfer pricing consultants delivers measurable advantages:
Regulatory Compliance
Stay aligned with UAE Corporate Tax Law and FTA requirements at all times.
Accurate Economic Benchmarking
Validate your intercompany pricing with defensible, data-driven analysis.
Audit-Ready Documentation
Maintain the Master File, Local File, and Disclosure Form in a form that withstands scrutiny.
Strategic Tax Planning
Structure intercompany arrangements to optimise your group’s tax position within legal boundaries.
Confidential Data Handling: All client data is managed with strict confidentiality and professional discretion.
Transfer Pricing Documentation Requirements in the UAE
Under the UAE Corporate Tax Law and Ministerial Decision No. 97 of 2023, entities must maintain contemporaneous documentation if:
- Their annual revenue is AED 200 million or above, or
- They are part of a Multinational Enterprise (MNE) Group subject to Country-by-Country Reporting (CbCR)
The required documentation package comprises three components:
Master File:
A group-level overview of the business structure, operations, and global transfer pricing policies.
Local File:
A UAE-specific report covering intercompany transactions and the arm’s length justification for each.
Transfer Pricing Disclosure Form:
Required for any business whose related-party transactions exceed AED 40 million in a tax period.
What You Need to Get Started
Before engaging our services, it helps to have the following ready:
- Recent financial statements (last 2 to 3 years)
- Ownership and group structure chart
- Details of related-party transactions (type, volume, counterparty)
- Any existing intercompany agreements or contracts
- Prior year corporate tax filings, if applicable
- Details of any ongoing FTA queries or audit notices
Don’t have everything ready? Our team will help you gather and organise what is needed.
Our Transfer Pricing Process
01
Define Transactions and Parties
Identify all related-party transactions and connected persons within the group structure.
02
Select Transfer Pricing Method
Choose the most appropriate OECD-approved pricing method based on the nature of the transaction and available comparables.
03
Conduct Economic Analysis
Perform functional analysis and benchmarking to establish a reliable arm’s length range.
04
Determine the Arm's Length Range
Validate the pricing outcome against comparable market data and confirm alignment with regulatory expectations.
05
Prepare Defensible Documentation
Compile the Master File, Local File, and Disclosure Form into a compliant, audit-ready documentation package.
Why Choose Us for Transfer Pricing Consulting in Dubai, UAE?
UAE Transfer Pricing Specialists
Expert guidance aligned with UAE Corporate Tax Law, FTA requirements, and OECD guidelines.
End-to-End Transfer Pricing Services
From policy design and benchmarking to documentation and audit support.
Tailored
Business Solutions
Practical strategies customised for mainland, free zone, and multinational businesses.
FTA Audit-Ready Documentation
Accurate Master Files, Local Files, and disclosure forms prepared with compliance in mind.
Corporate Tax & Transfer Pricing Advisory
Integrated tax solutions that support both compliance and business growth.
Dubai & UAE Market Expertise
Local knowledge backed by international transfer pricing best practices.
Proactive Compliance Management
Identify and address transfer pricing risks before they become costly issues.
Dedicated Consultant Support
Clear, practical advice from experienced transfer pricing consultants at every stage.
Confidential & Professional Service
Your financial and business information is handled with the highest level of discretion.
Timely and Cost-Effective Solutions
Efficient processes that help businesses meet deadlines and minimise compliance burdens.
Areas We Serve UAE
Map My Books is a top accounting firm in the UAE, offering expert transfer pricing services across major UAE free zones and mainland business hubs, including:
UAE Free Zones:
- Sharjah Airport International Free Zone (SAIF Zone)
- Hamriyah Free Zone
- Sharjah Media City (Shams)
- Dubai Multi Commodities Centre (DMCC)
- Jebel Ali Free Zone (JAFZA)
- Dubai Airport Free Zone (DAFZA)
- Abu Dhabi Global Market (ADGM)
- KEZAD (Khalifa Economic Zones Abu Dhabi)
- Ras Al Khaimah Economic Zone (RAKEZ)
- Fujairah Free Zone
UAE Mainland Areas:
- Dubai (Business Bay, DIFC, Deira, Al Quoz)
- Abu Dhabi (Al Maryah Island, Mussafah, Khalifa City)
- Sharjah (Al Nahda, Al Khan, Al Qasimia, Industrial Areas)
- Ajman
- Ras Al Khaimah
- Fujairah
- Umm Al Quwain
- Various UAE Industrial & Commercial Zones
Frequently Asked Questions
What is transfer pricing in the UAE?
Transfer pricing is the pricing of transactions between related parties or connected persons. UAE Corporate Tax Law requires these to reflect arm’s-length terms, the same conditions that independent parties would agree to under comparable circumstances.
Who needs to comply with transfer pricing rules in the UAE?
Any UAE business is subject to corporate tax that transacts with related parties or connected persons, including mainland companies, free zone entities, and branches of foreign companies.
What documents are required?
Businesses must prepare a Master File and Local File if revenue exceeds AED 200 million or if they are part of an MNE Group. A Transfer Pricing Disclosure Form is required when related-party transactions exceed AED 40 million.
Does transfer pricing apply to free zone companies?
Yes. Free zone companies, including Qualifying Free Zone Persons, are subject to transfer pricing obligations when transacting with related parties.
What happens if I don't comply?
Non-compliance can result in FTA audits, penalties, tax adjustments, and potential loss of preferential tax treatment for free zone entities.
Can you help if we are already under an FTA audit?
Yes. We assist with audit preparation, FTA responses, and represent your position throughout the process.
What pricing methods are used in the UAE?
The UAE follows five OECD-approved methods: CUP, RPM, CPM, TNMM, and PSM.
What is the Arm's Length Principle?
It requires that related-party transactions be priced consistently with what independent parties would agree to under similar circumstances.
What is transfer pricing advisory in the UAE?
It covers the full scope of support for structuring, documenting, and defending intercompany pricing, including policy design, benchmarking, documentation, and audit support.
What is the transfer tax in the UAE?
The UAE has no specific transfer tax. Corporate tax at 9% applies to taxable income above AED 375,000, with transfer pricing rules governing how that income is measured for related-party transactions.
What are the 5 types of transfer pricing?
The five OECD-approved methods are: Comparable Uncontrolled Price (CUP), Resale Price Method (RPM), Cost Plus Method (CPM), Transactional Net Margin Method (TNMM), and Profit Split Method (PSM).
Not Sure Where to Start?
Book a free 15-minute discovery call. Tell us about your business, and we will outline exactly what you need.