Typically, a Transfer Pricing audit is performed to confirm that transactions between related parties are priced correctly and are compliant with local tax laws and the OECD Transfer Pricing Guidelines. MNEs carry out cross-border transactions that are complicated by the division of functions, risks, and high-value intangibles, hence the risk of conflicts over profit allocation.
By means of these audits, the tax officers' target is to make profit shifting unfeasible, create visibility, and secure tax revenues. The penalization for non-compliance with the regulations comprises significant adjustment sums, incidental charges, double taxation, and loss of reputation.