First Corporate Tax cycle
Related-party activity has not yet been mapped under the UAE definitions or reconciled to the tax-return process.
A focused first-stage review of the relationships, transactions and evidence behind your UAE Corporate Tax position. The assessment separates the arm's-length requirement from disclosure and formal-documentation obligations, then turns the findings into a workable action plan.
Use the assessment when the business needs a defensible view of what is in scope before commissioning a policy, benchmark or formal file.
Related-party activity has not yet been mapped under the UAE definitions or reconciled to the tax-return process.
A management charge, loan, licence, distribution model or cost allocation is being introduced or materially changed.
The group is unsure which disclosures, supporting records, Local File or Master File obligations apply.
Ownership, functions, financing, Free Zone status or the location of key activities has changed during the period.
The work moves from legal and commercial relationships to the amounts recorded in the accounts. Each conclusion is tied to an identified transaction and evidence requirement.
Identify Related Parties and Connected Persons using ownership, control, management and family-relationship information—not only the financial-statement note.
Group the sale of goods, services, financing, intangibles, assets, liabilities and other arrangements by party, direction and value.
Assess the arm's-length support, return-schedule population and formal documentation requirements that follow from the facts.
Separate corrections needed before filing from policy, benchmarking, documentation and continuing-control actions.
The assessment is designed to be used by finance and management after the engagement—not left as a general tax memo.
A structured list of Related Parties and Connected Persons, with the relationship basis and open points clearly recorded.
A category-level register of counterparties, transaction flows, values, agreements, invoicing and available support.
A clear distinction between arm's-length support, return disclosures, Local File, Master File and other identified requirements.
Actions ranked by filing dependency, evidence gap and practical exposure, with owners and required source records.
Transactions with Related Parties and Connected Persons can require arm's-length support even when a disclosure schedule, Local File or Master File is not triggered. The assessment therefore starts with the transaction population rather than a threshold in isolation.
Federal Tax Authority — Transfer Pricing Guide (CTGTP1)The counterparty can be in the UAE mainland, a Free Zone or another jurisdiction.
Loans, guarantees, intangibles, assets, liabilities and other arrangements can also be controlled transactions.
Agreements, functions, risks, benefits, invoices and recorded results should tell the same commercial story.
Material positions are easier to support when reviewed during the period and before the Corporate Tax return is filed.
We tailor the request list after an initial call. The following records normally provide the starting population.
These answers explain the service boundary. The final treatment and engagement plan depend on the entity, period, records and current UAE requirements.
No. UAE domestic transactions can also fall within the Transfer Pricing rules. The size and structure of the group affect formal obligations, but not whether a controlled transaction should be considered.
It is useful evidence, but it may not identify the complete population under the UAE Corporate Tax definitions. We reconcile it to ownership, management and ledger data.
Yes. We assess the relevant conditions using the information provided and show the conclusion in the compliance matrix.
It identifies gaps and required actions. Policy design, benchmarking, accounting adjustments or documentation can then be scoped for the transactions that need them.
Preferably. An early review leaves time to reconcile values, obtain missing evidence and address pricing outcomes before the return is finalised.
Each page has its own defined purpose. Use the current service for the work described here, or choose another service when the business need changes.
Tell us which group entities, owners or connected people transact with the UAE business so the first conversation starts with the right scope.