How Business Is Done in the UAE—and Why Transfer Pricing Is No Longer Just a Tax Issue 

transfer pricing uae

Transfer Pricing Is No Longer a Side Note 

In the modern UAE business landscape, “transfer pricing” is no longer a technical appendix buried in tax reports. It has moved into the boardroom, shaping how groups structure their operations, justify profit allocations, and even design incentive models. 

With the UAE’s corporate tax regime now fully effective, businesses cannot afford to treat related party transactions as mere accounting adjustments. Each flow of goods, services, or funds must be explained, benchmarked, and defended in line with OECD principles and FTA expectations

The UAE: A Hub That Demands Precision and Transparency 

The UAE has built its success on being a global crossroads—a country where goods, services, talent, and capital all converge. That comes with opportunity, but also complexity. 

Unlike in many jurisdictions, UAE structures often combine free zone entities, mainland subsidiaries, and cross-border holdings within the same group. This interconnectedness makes pricing integrity within the group not only a tax issue, but also: 

  • A matter of shareholder trust 
  • A tool for investment allocation 
  • A safeguard for future restructuring and M&A 

In other words, transfer pricing has become the language of intra-group accountability. 

How Business Is Actually Done in the UAE 

  1. Free Zones Fuel Cross-Border Activity 

Free zones like DIFC, DMCC, and ADGM are magnets for multinationals. They allow: 

  • Trading intermediaries re-exporting goods across GCC, Africa, and Asia 
  • Service hubs managing global operations, IT support, or IP development 
  • Holding vehicles for global or regional investments 

These structures bring flexibility and tax benefits—but also intense transfer pricing scrutiny to ensure the income reported is genuine and arm’s length. 

  1. Mainland-Linked Structures for Domestic Operations 

Many businesses operate dual structures: 

  • A mainland entity serving local UAE customers 
  • A free zone entity handling international flows 

The pricing between these two is often related-party in nature, covering goods, services, and management charges. 

  1. Heavy Intragroup Dependencies 

Shared service centres in Dubai, contract manufacturers in JAFZA, or IP-holding companies in ADGM are all common. Every support invoice or back charge is essentially a transfer pricing transaction

  1. Inbound Investment via Holding Vehicles 

The UAE is a preferred location for regional or global holdings. These entities often: 

  • Receive dividends, interest, or royalties from related parties 
  • Route investments into Africa, India, or Europe 
  • Need to justify the pricing of financial flows 

Transfer pricing is not just about cross-border flows; even basic financial planning like understanding how much an accountant costs in Dubai can shape compliance budgets.

Salary Benchmarking: A Hidden TP Trigger 

One area often overlooked is compensation to Connected Persons (owners, directors, family). 

Under Article 28 of the UAE Corporate Tax Law, such payments must be arm’s length. That means: 

  • Best Practice: Use OECD-compliant benchmarking (TNMM, CUP, or other methods), backed by functional analysis and region-specific comparables
  • Pitfall: Relying on public salary websites like PayScale. These are not recognized by regulators and fail to reflect the true risks and responsibilities of the role. 

❝ Salary benchmarking without proper validation can lead to disallowed deductions and unnecessary audit disputes.❞

For many SMEs, outsourcing becomes a safeguard—our blog on the benefits of outsourcing accounting services in Dubai explains how this reduces compliance risks.

3 Takeaways 

  1. Business models in the UAE = Interconnected webs. 

Free Zones, mainland entities, and holding vehicles constantly transact with each other—making transfer pricing unavoidable. 

  1. Transfer Pricing is the new language of trust. 

It’s not just about avoiding tax risk—it underpins shareholder confidence, restructuring, and group strategy. 

  1. Salary benchmarking is no longer a back-office task. 

Payments to Connected Persons must be arm’s length, OECD-compliant, and regionally benchmarked—or they risk disallowance.

Startups often underestimate compliance complexities—explore accounting and bookkeeping for small businesses in Dubai to see how to stay tax-ready. 

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