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— VIDEO GUIDE

Management Fees & Intra-Group Services in the UAE: Benefit Test, Cost Allocation & Mark-Ups

An invoice, agreement and cost-plus mark-up do not automatically make a management fee arm’s length.

This video explains how businesses should first establish whether a genuine service was provided and whether the recipient received an economic or commercial benefit.

What You Will Learn

Benefit test

Shareholder activities

Duplicated services

Incidental benefits

Cost pools

Allocation keys

Pass-through costs

Arm’s-length mark-ups

Low value-adding services

Supporting documentation

Key Takeaway

Before deciding what mark-up should apply, first determine whether there is actually a service worth paying for.

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Video Transcript

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Frequently Asked Questions

No. A simplified 5% approach applies only where the relevant conditions for qualifying low value-adding services are satisfied.

It considers whether an independent business would reasonably have paid for the activity or performed it internally.

Costs relating solely to the shareholder’s ownership activities should not automatically be treated as chargeable intra-group services. 

About thetransferpricing.com

thetransferpricing.com is a specialised transfer pricing brand of Prime Partners Global LLC-FZ, providing transfer pricing advisory, benchmarking, documentation and related economic analysis support.

Disclaimer

Content on this page and in the accompanying video is provided for general informational and educational purposes only and does not constitute tax, legal, accounting or transfer pricing advice. The appropriate treatment of any transaction depends on the applicable legislation and the specific facts and circumstances.

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