The UAE Federal Tax Authority (FTA) has released Public Clarification CTP011, providing important guidance on Transfer Pricing Downward Adjustments made by a Taxable Person in the Corporate Tax Return.
The clarification explains how businesses should apply the Arm’s Length Principle, when transfer pricing adjustments are required, the disclosure obligations in the Corporate Tax Return, and the documentation businesses should maintain to support such adjustments.
For businesses engaged in Related Party Transactions, understanding this clarification is essential to ensure compliance with the UAE Corporate Tax Law and to strengthen their tax governance.
Under Article 34(1) of Federal Decree-Law No. 47 of 2022 on the Taxation of Corporations and Businesses, all transactions and arrangements between Related Parties must comply with the Arm’s Length Standard.
This means that prices charged between related parties should be consistent with the prices that would have been agreed between independent parties under similar circumstances.
Where transactions are not recorded at arm’s length in the Financial Statements, a Taxable Person is required to make an appropriate Transfer Pricing Adjustment in the Corporate Tax Return. These adjustments may either:
The purpose of Public Clarification CTP011 is to explain:
Businesses should ensure that all transactions with Related Parties reflect market conditions and comply with the Arm’s Length Standard required under Article 34(1) of the Corporate Tax Law.
If Related Party Transactions are not recorded at arm’s length in the Financial Statements, appropriate Transfer Pricing adjustments should be made in the Corporate Tax Return.
These adjustments may be upward or downward depending on the circumstances.
The UAE Corporate Tax system operates on a self-assessment basis.
Accordingly, businesses are responsible for determining whether a Transfer Pricing adjustment is necessary.
The clarification confirms that prior approval from the FTA is not required before making a Transfer Pricing adjustment in the Corporate Tax Return. However, any adjustment may be reviewed during a Tax Audit.
Where a Taxable Person makes a Downward Adjustment in the Corporate Tax Return, all Related Party Transactions connected with that adjustment must be disclosed.
Importantly, this disclosure requirement applies regardless of the value or nature of the transaction.
Businesses making Downward Adjustments should maintain sufficient documentation to support their tax position.
The FTA expects businesses to retain:
Maintaining comprehensive documentation can significantly strengthen a business’s position in the event of an FTA review or Tax Audit.
The clarification includes examples to illustrate when disclosure is required.
For example:
Transfer Pricing is not relevant only for multinational enterprises.
Many UAE businesses transact with:
These transactions should be reviewed periodically to ensure compliance with the Arm’s Length Principle and the UAE Corporate Tax Law.
A proactive review today can reduce future compliance risks and strengthen your overall tax governance.
At TFAB Accounting & Business Consulting, we assist businesses with:
Our team can help you understand how the latest FTA clarification may impact your business and ensure your Corporate Tax compliance remains robust.
The issuance of FTA Public Clarification CTP011 reinforces the importance of accurate Transfer Pricing practices under the UAE Corporate Tax regime.
Businesses with Related Party Transactions should review their pricing arrangements, maintain adequate supporting documentation, and ensure that any required Transfer Pricing adjustments are appropriately disclosed in the Corporate Tax Return.
Early preparation and proper documentation will help businesses remain compliant and confidently respond to future FTA reviews.
If your business has Related Party Transactions or you would like to assess your Transfer Pricing compliance, TFAB Accounting & Business Consulting is here to help.
Contact our team for expert guidance on UAE Corporate Tax, Transfer Pricing, VAT, and business compliance.