Transfer Pricing Consultant Abu Dhabi

Abu Dhabi's economy is anchored by large industrial groups, government-linked entities, energy sector companies, and family conglomerates with operations spanning multiple related entities across the emirate and beyond. These group structures routinely involve intercompany transactions — financing, shared services, asset transfers, and management fees — that now fall squarely under UAE transfer pricing rules.

A transfer pricing consultant Abu Dhabi conglomerates, energy companies, and family groups rely on understands the scale and complexity typical of Abu Dhabi's largest business structures.

Why Abu Dhabi Businesses Need Transfer Pricing Support

Abu Dhabi's business landscape includes some of the UAE's largest privately held conglomerates and family business groups, often structured across dozens of related entities spanning energy, real estate, industrial, and investment activities. Pricing intercompany transactions correctly across a structure this size requires careful analysis, not assumption.

A transfer pricing consultant Abu Dhabi businesses trust typically manages:

  • Group structure mapping across large, multi-entity conglomerate holdings
  • Arm's length pricing analysis for financing, asset transfers, and shared services
  • Master File and Local File preparation for entities meeting statutory revenue thresholds
  • Related Party Transaction disclosure support for Corporate Tax filings

UAE Transfer Pricing Rules You Need to Know

Under Federal Decree-Law No. 47 of 2022 and Ministerial Decision No. 97 of 2023, related party and connected person transactions must be priced at arm's length and, where thresholds are met, documented formally:

  • Master File and Local File obligations apply where consolidated MNE Group revenue reaches AED 3.15 billion or more, or where the taxable person's own revenue reaches AED 200 million or more.
  • Related Party Transaction disclosure forms part of the Corporate Tax return where related party and connected person transactions exceed prescribed thresholds.
  • Arm's length principle applies to all related party dealings regardless of documentation thresholds, meaning even smaller group entities need pricing that would withstand scrutiny.

Transfer Pricing Documentation Services in Abu Dhabi

Our transfer pricing documentation Abu Dhabi clients rely on covers:

  • Comprehensive group structure and related party mapping for large conglomerate holdings
  • Functional and risk analysis across energy, industrial, and investment segments
  • Benchmarking studies for intercompany financing, licensing, and service arrangements
  • Master File and Local File preparation aligned with statutory requirements

Transfer Pricing Advisory in Abu Dhabi

Our transfer pricing advisory Abu Dhabi clients engage us for typically includes:

  • Structuring new intercompany financing and shared services arrangements defensibly
  • Reviewing legacy intercompany agreements built before Corporate Tax introduction
  • Advisory for family business succession structures with intercompany dependencies
  • Support through FTA reviews involving significant related party transactions

Benchmarking and Related Party Transaction Review

Our transfer pricing compliance Abu Dhabi clients rely on benchmarking studies grounded in recognised databases and OECD-aligned methodology, particularly important given the scale of intercompany financing and asset transactions common among Abu Dhabi's larger conglomerate structures.

Industries We Serve in Abu Dhabi

We regularly support transfer pricing needs across:

  • Energy, oil and gas, and industrial groups
  • Family-owned conglomerates with diversified holdings
  • Real estate and investment holding structures
  • Government-linked and quasi-government entities
  • Trading and distribution groups with intercompany supply arrangements

Why Choose ASC Global UAE

ASC Global UAE brings the depth needed to handle transfer pricing for Abu Dhabi's largest and most complex group structures, combining technical rigor with an understanding of how family conglomerates and industrial groups actually operate. We help clients build documentation that reflects genuine business substance, not a paper exercise.

If your Abu Dhabi group has intercompany transactions, our transfer pricing consultant Abu Dhabi clients trust ensures your pricing and documentation hold up under scrutiny.

[Talk to Our Transfer Pricing Consultant Abu Dhabi →]

Call:-+971543907670

Whataspp:- +971543907670

Email:- info@ascglobal.ae

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Frequently Asked Questions

Often yes, given that many exceed the AED 200 million revenue threshold or belong to MNE Groups above AED 3.15 billion in consolidated revenue, triggering Master File and Local File requirements.

Intercompany loans and financing arrangements must reflect arm's length interest rates and terms, benchmarked against comparable third-party financing arrangements.

Administrative penalties can apply for failing to maintain required documentation, and the FTA may adjust related party pricing if it's found not to reflect arm's length terms, potentially resulting in additional tax liability.

We handle group-wide related party mapping, benchmarking, Master File and Local File preparation, and ongoing advisory scaled to the complexity of multi-entity conglomerate structures.
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