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With the ever-changing business environment, group companies, international business houses, and even individuals looking to expand their business to global horizons must consider tax planning, structuring, and long-term and short-term tax implications.
As of June 2022, UAE has signed double taxation treaties with over 137 countries.
Our tax team’s expertise in the local and regional laws and regulations helps international clients maximize tax benefits and optimize tax structures.
Transfer pricing refers to the practice of determining the price at which goods, services, and intangible assets are traded between different units of the same multinational company. The purpose of transfer pricing is to ensure that related parties within a multinational company do not engage in profit-manipulating transactions between different tax jurisdictions, leading to tax avoidance.
The transfer price should be set in a way that reflects the conditions that would be present if the parties were unrelated, and that price is referred to as the "arm's length price". The arm's length principle is widely used as the standard for determining transfer prices and is supported by the Organization for Economic Cooperation and Development (OECD) guidelines.
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