Transfer Pricing
Defending the Arm's Length Principle across every related-party transaction.
We assist businesses in complying with the Arm's Length Principle across all related-party transactions — from documentation through to the FTA's newly launched Advance Pricing Agreement programme.
Capabilities
Engagement deliverables
- Master File
- Local File
- Benchmarking / economic analysis
- CbCR notification & report
- TP Disclosure form
- APA application dossier
Documentation
Comprehensive preparation of Master Files, Local Files and Country-by-Country Reporting (CbCR), following Ministerial Decision No. 97 of 2023.
Benchmarking Studies
Economic analysis using global databases such as Orbis / TP Catalyst to justify intercompany pricing and prove the Arm's Length Principle.
APA Application Support
Strategic guidance for the newly launched unilateral and bilateral Advance Pricing Agreements to eliminate future audit risk.
TP Disclosure
Support with the Transfer Pricing Disclosure form required alongside the Corporate Tax return.
Let's pressure-test your position before the FTA does.
A focused conversation with a partner — not a junior. Tell us where you stand and we'll tell you where the exposure is.
Book a Compliance Health-Check