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Defensible Transfer Pricing Documentation, Built to UAE Requirements

UAE Corporate Tax law requires related-party and connected-person transactions to be conducted at arm's length, with supporting documentation maintained in the form of a Local File and, where applicable, a Master File. We prepare transfer pricing documentation, conduct benchmarking analyses, and advise on intra-group pricing policies — helping you meet FTA documentation requirements and defend your pricing position if challenged.

Reviewed content standard: Way Forward should verify service scope, credentials, dates, and regulator references before publication.

What Way Forward handles

  • Related-party transaction identification and risk assessment
  • Transfer pricing policy design for intra-group transactions
  • Local File and Master File preparation
  • Benchmarking studies and arm's length analysis
  • Transfer pricing disclosure form support

Who needs this service

  • Group companies with cross-border or domestic related-party transactions
  • Businesses required to maintain transfer pricing documentation under Corporate Tax law
  • Companies restructuring intra-group pricing arrangements

Helpful next steps

  • Prepare recent financial records, authority notices, deadlines, and company documents.
  • Ask for a written scope covering deliverables, assumptions, exclusions, and timeline.
  • Confirm the qualified reviewer for regulatory tax, VAT, audit, or AML guidance.

Assess your transfer pricing documentation obligations — talk to our advisory team.

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