I will create transfer pricing policy with benchmarking
EXPERTISE YOU CAN COUNT ON
Level 2
Has met high performance criteria and has a proven track record for meeting client expectations.
About this Gig
Professional Transfer Pricing Policy with Benchmarking Local File
At Musas Consultants, we bring extensive expertise in preparing comprehensive Transfer Pricing Policies backed by robust economic benchmarking helping multinational enterprises stay fully compliant with local and international tax regulations.
Our team has successfully prepared transfer pricing documentation for a wide range of industries, ensuring that intercompany transactions are structured, justified, and defensible before tax authorities.
What Youll Get:
- A professionally drafted Transfer Pricing Policy tailored to your business
- A detailed Local File prepared in accordance with OECD/local country guidelines
- Benchmarking Analysis using Moodys one of the most trusted and recognized databases globally
- Arms length price determination with full comparability analysis
- Functional analysis covering functions, assets, and risks (FAR)
- Selection of the most appropriate transfer pricing method
Compliance type:
Tax Audits
Entity type:
Corporation
•
LLC
Target country:
United Arab Emirates
Gigs are not screened
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Clients I’ve worked with
Skinni Snax
Food & Beverage Products Supplying/Manufacturing
We were hired to provide comprehensive business valuation and advisory services to SkinniSnax. We provided the valuation report, strategic advisory support and crafted a compelling pitch for potential investors.
Apr 2022
My Portfolio
Other Tax Consulting Services I Offer
FAQ
What is a Transfer Pricing Local File and do I need one?
A Local File is a key component of transfer pricing documentation that details your intercompany transactions and demonstrates they are conducted at arm’s length. If your business engages in transactions with related parties across borders, you most likely have a legal obligation to maintain one.
What database do you use for benchmarking?
We use Moody’s — a globally recognized and court-accepted financial database — to conduct our comparability and benchmarking analysis. This ensures your transfer pricing policy is backed by reliable, credible, and defensible data that tax authorities trust.
Which transfer pricing method will be applied to my case?
The most appropriate method depends on the nature of your intercompany transactions. Our experts at Musas Consultants carefully analyze your business structure and apply the best-suited method — whether CUP, TNMM, Cost Plus, Resale Price, or Profit Split — in line with OECD Guidelines.
Will the documentation be compliant with OECD BEPS guidelines?
Absolutely. All our transfer pricing policies and local files are prepared in full compliance with OECD BEPS Action 13 guidelines, as well as the relevant local country regulations where your entity operates.
What information do I need to provide to get started?
To begin, we typically require: • Details of your intercompany transactions • Your company’s financials and business overview • Group structure and related party information • Any existing intercompany agreements (if available) Don’t worry if you don’t have everything ready — our team will guide
Will my transfer pricing policy hold up in a tax audit?
Our documentation is specifically designed to be audit-ready. With Moody’s-backed benchmarking, thorough functional analysis, and strict adherence to international standards, you can be confident that your transfer pricing file will withstand regulatory scrutiny.
