UAE CORPORATE TAX 9% — EFFECTIVE JUNE 2023DUBAI GDP GROWTH 3.4% IN 202445+ FREE ZONES — 100% FOREIGN OWNERSHIPGOLDEN VISA: AED 2M PROPERTY THRESHOLDDIFC AUM: $500B+ GROWING 18% YoYUAE #1 ARAB WORLD — EASE OF DOING BUSINESSGULF MERIDIAN · OPERATED BY EPIIDOSIS GLOBAL FINANCEKSA VISION 2030: $3.2T PRIVATISATION PIPELINE
UAE CORPORATE TAX 9% — EFFECTIVE JUNE 2023DUBAI GDP GROWTH 3.4% IN 202445+ FREE ZONES — 100% FOREIGN OWNERSHIPGOLDEN VISA: AED 2M PROPERTY THRESHOLDDIFC AUM: $500B+ GROWING 18% YoYUAE #1 ARAB WORLD — EASE OF DOING BUSINESSGULF MERIDIAN · OPERATED BY EPIIDOSIS GLOBAL FINANCEKSA VISION 2030: $3.2T PRIVATISATION PIPELINE
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Knowledge BaseTax & Corporate LawTransfer Pricing
Tax & Corporate Law

UAE Transfer Pricing: Compliance Guide 2025

UAE transfer pricing rules require arm's length pricing for all related-party transactions. Documentation thresholds, the master file and local file framework, and disclosure requirements explained.

Last verified: June 20262 source documents4 min read
Key Facts
FactValueSource
Arm's length principle applies toAll related-party transactionsFTA — Transfer Pricing Guide CTGTP1
Master file threshold (group revenue)AED 3,150,000,000+FTA — Transfer Pricing Guide
Local file threshold (related-party transactions)AED 40,000,000+ per categoryFTA — Transfer Pricing Guide
Disclosure form required with tax returnYes — if related-party transactions existFTA — Transfer Pricing Guide
What This Means For Your Business

UAE transfer pricing rules require arm's length pricing for all related-party transactions. Documentation thresholds, the master file and local file framework, and disclosure requirements explained.

From the Official Source Documents

UAE Corporate Tax requires that dealings between related parties — companies under common ownership, or a business and its owners — are priced as if they were between independent parties. This is the arm's length principle.

If related-party transactions are mispriced to shift profit out of the UAE, the Federal Tax Authority can adjust your taxable income upward and tax the difference.

Larger groups must keep formal documentation: a Master File describing the global group and a Local File covering UAE transactions, both produced to the FTA on request.

A group generally needs a Master File once consolidated revenue reaches about AED 3.15 billion, and a Local File once related-party transactions in a category exceed roughly AED 40 million.

Every business with related-party dealings must also complete a transfer pricing disclosure form alongside its annual Corporate Tax return, regardless of size.

Legal Basis — 2 Primary Source Documents
UAE CT — Transfer Pricing Guide (CTGTP1) Oct 2023
UAE-FTAEffective 2023guide
Download PDF
UAE CT — Determination of Taxable Income (CTGDTI1) Jul 2024
UAE-FTAEffective 2024guide
Download PDF

Laws and regulations change. Always verify with the relevant authority before acting on this information.

For information only. This guide provides general guidance based on publicly available UAE & GCC regulations. It is not legal or financial advice. Speak to our advisory team →
About this guide
TopicTransfer Pricing
PillarTax & Corporate Law
Last verifiedJun 2026
Sources2 documents
Read time4 min
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