International Tax & Transfer Pricing Advisory
Common triggers we help with
Expanding operations across borders
Overseas shareholders or investment structures
Contracts signed offshore or services delivered across jurisdictions
Holding company and redomiciliation questions
Related party charges, management fees, or intragroup loans
Why this matters
International tax and transfer pricing issues rarely appear all at once. They usually build through contract terms, where decisions are made, how people operate, how cash moves, and how related parties charge each other.
Our advisory begins with the commercial reality behind the structure and transactions. From there, we help translate that reality into a position that is practical to operate, consistent with the records, and supported by documentation.
International Tax & Cross-Border Advisory
Cross-border
tax advisory
Treaties, withholding, and
cross-border payments
Establishment and
management risk
Residency, redomiciliation, and
holding structures
Substance and participation exemption
Transfer Pricing & Related Party Compliance
Transfer pricing support built for repeatable compliance
Transfer pricing risk is rarely about whether a charge exists. It is about whether the rationale, pricing logic, and evidence are consistent — and whether the documentation matches how the arrangement works in practice.
VBS supports transfer pricing UAE engagements with a clear objective: build related-party positions that can be explained, evidenced, and repeated year after year.Related parties, connected persons, and risk mapping
We start by mapping related party transactions across services, fees, financing, asset use, and group arrangements. Where relevant, we also review exposure areas involving connected persons UAE.
From there, we evaluate how each arrangement supports the arm’s length principle based on what is actually delivered, who benefits, and why the pricing is commercially justified.Documentation and compliance deliverables
VBS supports transfer pricing documentation that reflects operations and governance — not generic templates.
Where applicable, we support readiness for local file UAE and master file UAE, and help ensure the underlying data is consistent for the transfer pricing disclosure form.Pricing logic, benchmarking, and agreements
Where benchmarking is required or useful, we support benchmarking study UAE work to strengthen pricing logic and supportability.
We also draft or review intercompany agreements so legal form matches commercial reality, and provide focused reviews for common risk areas such as management fees transfer pricing and intragroup loans transfer pricing.Standards and Corporate Tax alignment
Our work is aligned with OECD transfer pricing guidelines in a practical, implementable way. We also support UAE Corporate Tax transfer pricing expectations, especially consistency between agreements, accounting records, disclosures, and supporting documentation.
What you get from VBS
A VBS engagement is designed to give you clarity, structure, and documentation discipline — not just technical commentary.
Cross-border advisory outputs
Transfer pricing outputs
Need clarity on international tax or transfer pricing risk?
Speak with VBS for advisory that helps you structure, document, and defend cross-border tax and related-party positions.
How we work
01 Understand the facts
We review contracts, ownership, people, governance, cash flows, related-party arrangements, and documentation.
02 Identify tax and pricing risk points
03 Define the position
04 Document clearly
Who this is for
This service is suitable for:
UAE businesses with overseas activity
Companies selling, contracting, investing, or operating across borders.
Groups with related-party transactions
Businesses with management fees, service charges, loans, or shared functions between related entities.
Foreign companies with UAE exposure
Overseas companies with local contracts, people, management activity, or market-facing operations.
Holding and investment structures
Founders, family offices, investment vehicles, and groups planning ownership, redomiciliation, or holding structures.
Businesses preparing for Corporate Tax compliance
Companies that need documentation discipline before filing, disclosure, audit, or authority review.
Cross-border group structures
Businesses with parent companies, subsidiaries, branches, or ownership links across multiple jurisdictions that need clearer tax, transfer pricing, and reporting alignment.
Why VBS
Clients choose VBS because our advisory is:
01
Experienced Team
02
Commercially practical
03
Documentation-driven
04
Governance-focused
FAQs
Common Questions
Yes. We focus on practical cross-border decisions — what you can implement, maintain, and defend.
Yes. We assess permanent establishment risk based on contracts, people, activity patterns, and local nexus.
Yes. We support documentation readiness for tax residency certificate applications where
relevant.
Yes. We review related party transactions and connected person exposures with practical governance steps.
Yes. We support local file and master file readiness where applicable, along with transfer pricing documentation and disclosure form consistency.
Yes. We support benchmarking studies where relevant and help draft or review
intercompany agreements so they reflect the commercial arrangement.
GET IN TOUCH
Let’s Discuss Your Business Needs
solutions tailored to your goals.
Get in Touch
Phone
Corporate Office
Office No. 219, Al Goze Building, Sheikh Zayed Road, Al Quoz 1, Dubai, UAE