06 March, 2026
In recent years, scrutiny of transfer pricing (TP) during tax audits has increased significantly, particularly for businesses engaging in substantial intercompanytransactions or those reporting low profitability or losses. Companies involved in high-volume or high-value intercompany transactions face increased risks during tax audits, including potential profit adjustments or disallowance of related-party costs.
This Newsbrief underscores that viewing TP as both a compliance obligation and a strategic risk management tool helps companies better protect their interests and enhance transparency. Strengthening these practices fosters greater confidence in TP positions amid evolving regulatory expectations and promotes proactive risk management.