Best Transfer
Pricing Benchmarking
Services in Dubai

Get expert Transfer Pricing compliance with robust Benchmarking for Connected persons and Related parties in the UAE.

We simplify your TP requirements and ensure your transactions remain fully at Arm’s length price (ALP) in line with UAE corporate tax law

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Best Transfer
Pricing Benchmarking
Services in Dubai

Get expert Transfer Pricing compliance with robust Benchmarking for Connected persons and Related parties in the UAE.

We simplify your TP requirements and ensure your transactions remain fully at Arm’s length price (ALP) in line with UAE corporate tax law

Happy Clients
0 +
Industries Served
0 +

Empowering Ambitions, That Backed by Numbers

We empower businesses across diverse industries by delivering precise, trustworthy, and result-driven financial solutions — helping them scale with confidence, clarity, and strategic foresight.

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Clients

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Globally

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Experience

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One flat fee.
Everything you need.

A single, transparent price for your full transfer pricing engagement — Connected Person & Related Party benchmarking, advisory, documentation, CbCR, agreements and disclosure. FTA-aligned and OECD-compliant.

FTA Aligned OECD Compliant Article 34 Ready Audit-Defensible
Flat Fee

All-Inclusive Pricing

AED 4,999

+ 5% UAE VAT · per engagement

Free initial consultation All services included

The Case for Benchmarking

Why arm's length pricing matters.

Under UAE Corporate Tax Law, related party and connected person transactions must reflect arm's length pricing. The presence — or absence — of a benchmarking report defines the difference between defensible deductions and exposure to FTA scrutiny.

Without Benchmarking

  • Expenses may not be tax deductible
  • FTA may adjust taxable income
  • Face transfer pricing scrutiny during audits
  • Risk of penalties and disputes
  • Lack of defensible documentation

With Benchmarking

  • Ensures full tax deductibility of expenses
  • Defends FTA adjustments to taxable income
  • Audit-ready documentation and defense
  • Compliance with UAE Corporate Tax Law
  • Pricing reflects market conditions

What's Included

Your engagement, covered end-to-end.

Every service below is included in the AED 4,999 flat fee — nothing held back, no add-ons.

Related Party Benchmarking

Arm's length analysis of intercompany transactions between related parties — sales, purchases, services, loans and royalties — defended with tier-1 database comparables.

Transfer Pricing Advisory

Strategic guidance on intercompany pricing policy, transaction structuring and proactive risk planning — beyond compliance, into defensible design.

Master File & Local File

Group-level Master File aligned with OECD BEPS Action 13, plus entity-level Local File documentation — covering global business, intangibles and intercompany flows.

Country-by-Country Report

CbCR preparation, notifications and submission for multinational groups crossing the AED 3.15 billion consolidated revenue threshold.

Intercompany Agreements

Loan, royalty, services and management fee agreements drafted to align with your benchmarking conclusions and stand up under FTA scrutiny.

TP Disclosure Form

Preparation and filing of the transfer pricing disclosure form with your UAE Corporate Tax return — covering related party and Connected Person transactions.

Powered by tier-1 global databases

The same data the world's audit firms rely on.

S&P Capital IQ Orbis RoyaltyStat Bloomberg Refinitiv ktMINE Moody's BvD

Ready to lock in defensible pricing?

Book a free 30-minute consultation. We'll scope your transactions and confirm the engagement covers everything you need before you commit.

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Why UAE Businesses Must Follow Transfer Pricing Rigorously

Strict 20-Day Deadline for TP documentation

The FTA can issue a TP request without warning and you get only 20 days to deliver complete, defensible documentation. Miss the deadline, and penalties follow.

Connected Persons Must Be at ALP

Every single transaction with a connected person must be priced exactly at Arm’s Length. Any deviation even minor can trigger scrutiny and adjustments.

Free Zone Companies NOT Exempt TP applies irrespective of 9% or 0%

Free Zone tax relief does not protect you. Whether taxed at 9% or 0%, TP rules apply fully the moment you transact with any related party.

Avoid Price Adjustments & Penalties improper pricing risks

Incorrect transfer pricing can lead to enforced profit reallocation, heavy fines, and disputes that spill over into multiple jurisdictions.

Aggressive FTA TP Audits:

The FTA’s TP audits are becoming more assertive, data-driven, and unforgiving — weak documentation is now a major risk.

Protect Group Profits:

Robust benchmarking is your only shield against double taxation, profit erosion, and inconsistencies across global entities.

During an FTA assessment, your Transfer Pricing documentation is the only anchor that protects your pricing, your profits, and your peace of mind!

About our Transfer Pricing Services

We offer a complete suite of Transfer pricing advisory services, including:

Benchmarking Services

Conducting comprehensive benchmarking analysis to ensure your Related party Connected Person transactions align with the Arm’s length principle (ALP)

Related Party

Evaluating Corporate Tax implications for related party transactions and identifying strategic tax planning opportunities.

Connected Person

Advising on tax-efficient structuring for transactions with Key Managerial Persons (KMPs) including Benchmarking for Salary transactions

TP Disclosure Form

Accurately preparing and filing the Transfer Pricing Disclosure Form in line with FTA requirements and deadlines.

Local File

Preparing the Local File (Transfer Pricing Study) with detailed documentation of intra-group transactions to comply with UAE Transfer Pricing rules.

Master File

Drafting the Master File to provide a global overview of your multinational group’s business operations and transfer pricing policies.

CbCR (Country-by-Country Reporting)

Assisting in the preparation and submission of CbCR reports, ensuring compliance with OECD and local regulations.

Related Party and Connected Person

Any entity or individual with ownership, control, or influence over your business — even indirectly — is treated as a Related Party for TP purposes.

The concept of Connected persons is a broader UAE-specific term covering directors, managers, shareholders, and any person able to influence business decisions financially or operationally.

Local File & Master File

A detailed, entity-level TP report documenting all related-party transactions, pricing justification, functional analysis, and benchmarking — mandatory when thresholds are crossed.

A group-level document providing a global overview of the multinational group’s structure, intangibles, financing, and consolidated TP policies.

Empowering Ambitions, Backed by Numbers

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BCL empower businesses across diverse industries by delivering precise, trustworthy, and result-driven financial solutions — helping them scale with confidence, clarity, and strategic foresight.

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Why Choose BCL Globiz

Results Driven
Approach

We focus on outcomes that directly impact your business performance — not just reports.

UAE Compliance
Experts

Stay stress-free with complete VAT and regulatory compliance.

Dedicated Client
Support

Quick responses, clear communication, and ongoing guidance.

Transparent &
Fair Pricing

No hidden fees — just honest value.

Proactive Financial
Advice

We help you plan ahead, not just catch up.

Why Choose BCL
Globiz

UAE Compliance
Experts

Stay stress-free with complete VAT and regulatory
compliance.

Dedicated Client
Support

Quick responses, clear communication, and ongoing guidance.

Proactive Financial
Advice

We help you plan ahead, not just catch up.

Results-Driven
Approach

We focus on outcomes that directly impact your business 

Real-Time
Financial Visibility

Cloud-based tools for anytime access to your financial data.

Transparent &
Fair Pricing

No hidden fees — just honest value.

Smart Financial Solutions to Empower UAE Businesses

Customized financial strategies driving success for UAE businesses

What Sets Us Apart

At BCL Globiz we go beyond numbers. Our advanced financial solutions are designed to simplify operations, maximize savings, and drive business success across the UAE. With a proactive approach and deep local knowledge, we ensure your finances fuel growth — not slow it down.

Blueprint Your Strategy Value Chain Analysis

Move beyond guesswork. We map the exact functions and risks of every entity and connected person to build a defensible tax foundation that aligns with your business reality.

FTA Approved Pricing methodology Benchmarking Analysis

The Core of Compliance. We determine the precise Arm’s Length Price (ALP) for all related-party transactions, loans, and payments, ensuring your pricing stands up to the toughest scrutiny.

Audit-Ready Always Documentation & Adjustments

Don’t scramble at year-end. We maintain real-time documentation and execute proactive financial adjustments to keep your margins safely within the benchmarked range.

Zero-Stress Compliance Statutory Filings

Navigate global regulations effortlessly. We handle the complex preparation of Master and Local Files, ensuring you meet every deadline and avoid penalties.

Strategic Transfer Pricing Solutions to Empower UAE Businesses

Customized TP strategies ensuring compliance, efficiency, and growth for UAE entities.

What Sets Us Apart

At BCL Globiz, we simplify and strengthen your Transfer Pricing compliance. Our team combines UAE Corporate Tax expertise with deep regional benchmarking experience to deliver clear, defensible, audit-safe TP reports.

Our robust benchmarking reports form the backbone of this process, delivering clear, defensible comparables for services, loans, IP, procurement, and all connected-person arrangements. Whether you are a Free Zone, Mainland, or multinational entity, our benchmarking reports forms the backbone of your TP position — ensuring every Connected Person and Related Party transaction stands strong during FTA scrutiny.

Want to understand who qualifies as a Related Party or Connected Person? 

Blueprint Your Strategy Value Chain Analysis

Move beyond guesswork. We map the exact functions and risks of every entity and connected person to build a defensible tax foundation chat aligns with your business reality.

FTA Approved Pricing methodology Benchmarking Analysis

The Core of Compliance. We determine the precise Arm’s Length Price (ALP) for all related-party transactions, loans, and payments, ensuring your pricing stands up to the toughest scrutiny.

Audit-Ready Always Documentation & Adjustments

Don’t scramble at year-end. We maintain real-time documentation and execute proactive financial adjustments to keep your margins safely within the benchmarked range.

Zero-Stress Compliance Statutory Filings

Navigate global regulations effortlessly. We handle the complex preparation of Master and Local Files, ensuring you meet every deadline and avoid penalties.

Valued Clients Backed
We Serve

We are proud to support a diverse portfolio of clients across industries, delivering tailored financial solutions that help their businesses grow, adapt, and succeed.

Hear What People say About BCL Globiz

Hear What People say About BCL Globiz

Meet Our Partners at
BCL Globiz

At BCL Globiz, we believe in the power of collaboration. Our partners play a pivotal role in helping us provide forward-thinking, results-driven financial services.

Punith Jindal

Expertise in Management Accounting, VAT Law & Corporate Tax Law

Nikhil Jain

Expertise in Corporate Tax Law and
International Taxation

Rakesh Jain

Expertise in Transfer Pricing & Cross-
border transactions

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