As the only boutique Transfer Pricing team with the skill and experience aligned with the Big 4, we are proud to provide the highest
level of specialist transfer pricing to multinational companies in Dubai and the Middle East region.
Get in touch to see how we can partner with you.
Asia Pacific Finance Manager,
Major Engineering Company,
Singapore Regional Head Office
Tax Director,
Major MNC
Director,
Second Tier Accounting Firm
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We are proud to provide the highest level of specialist transfer pricing to multinational companies in Dubai and the Middle East region.
For domestic TP adjustments, a corresponding adjustment may be made to the taxable income of the other related party by the FTA.
A transaction is considered to meet the arm's length principle when the results of the transaction between related parties are consistent with the results of a transaction between unrelated parties.
Country-by-country (CBC) reporting is part of a broader suite of international measures aimed at combating tax avoidance.
All taxpayers that entered into transactions or arrangements with their Related Parties and Connected Persons needs to prepare the Disclosure Form.
The Federal Tax Authority (“FTA”) has the power to reallocate income or expenses between related parties through an analysis of whether the taxpayer has dealt at arm’s length.