In the context of global economic integration, businesses engaging in related-party transactions are increasingly subject to scrutiny by tax authorities to ensure transparency, accuracy, and compliance with the arm’s length principle. As a firm with extensive experience in tax advisory and audit services, U&I provides comprehensive transfer pricing advisory services, supporting businesses in preparing and maintaining complete, compliant, and timely transfer pricing documentation.
Key service areas include:
- Preparing the Local File in accordance with Vietnamese regulations
- Advising on the collection of necessary information and data for the preparation of the Master File
- Advising on the implementation of obligations relating to Country-by-Country Reporting (CbCR).
- Supporting declarations and providing comprehensive advisory on related-party transaction information and related-party relationships (Form No. 01)
- Providing commercial databases and benchmarking sources from reliable providers to support transfer pricing analysis and the determination of arm’s length pricing
With deep expertise in current tax regulations and extensive experience serving both domestic and multinational groups, U&I is committed to accompanying businesses in minimizing tax risks, optimizing compliance, and protecting their legitimate interests in transfer pricing activities.



