• 21 Februari 2026 - Prabowo and Trump Seal Trillion-Rupiah Mega Deal, Indonesia's Economy Ready to Rocket into a New Golden Age! • 21 Februari 2026 - Giant Profit Flood, These Archipelago's Golden Products Successfully Penetrate America Without Tax! • 10 Februari 2026 - Transparency Revolution: ‘Non-Deductible’ Perppu Ready to be Game Changer to Break Tax Ratio Stagnation and Save Economy • 10 Februari 2026 - The Golden Wave of AI: Amazon Sells Data, Singapore's Economy Skyrockets, and the Birth of the First Trillionaire • 09 Februari 2026 - Purbaya's Heavy Mission: Getting 'Sick' for Prabowo's Approval and a 12 Percent Tax Ratio • 09 Februari 2026 - Danantara Displaces China's Dominance in Krakatau Steel, Consumers Rejoice, but Employers Still "Stingy" on Jobs! • 09 Februari 2026 - State Loses Trillions, Finance Minister Purbaya Hunts Cash Mafia and Slashes Bioethanol Permits to One Week! • 07 Februari 2026 - Stop Cash Transactions! Purbaya Uncovers 'Cash Basis' Modus of 40 Steel Factories Worth Rp4 Trillion • 05 Februari 2026 - Indonesia’s Economy Set to Skyrocket to 6 Percent? Here Are Rosan’s 8 Ace Moves and Purbaya’s Profitable Strategy! • 03 Februari 2026 - Loophole for Foreign Ships Sealed Tight, 'No Tax No Sail' Era Begins! • 03 Februari 2026 - 2025 Trade Mystery Unveiled: US Becomes Savior While Dependence on China Soars, Prabowo Strikes Back with Rp618 Trillion Strategy! • 02 Februari 2026 - RI Trade Surplus Hits 68-Month Record, Why is the Middle Class Threatened to Become ‘Rojali’? • 29 Januari 2026 - IHSG Freefall: MSCI Ultimatum Shakes the Exchange, Investor Funds at Risk Before May 2026! • 27 Januari 2026 - A Path to Peace Amidst Dispute: Dissecting the Advance Pricing Agreement (APA) in the Era of PMK 172 Year 2023 • 26 Januari 2026 - Cigarette Excise Still Tough, BUMN Gets Red Carpet, and Chaos at the Port! • 26 Januari 2026 - Prabowo Promises to Shock the World, But Watch Out for Exploding Free Meal Budgets and Fleeing Factories! • 22 Januari 2026 - Prabowo Shows Off "Prabowonomics" in Davos, Rupiah Rallies, and Pension Funds Flourish! • 22 Januari 2026 - Finance Minister Peeks at Officials' Accounts, Tax Mafia Village Exposed, and Middle Class Ready to Be Squeezed! • 21 Januari 2026 - Investment Skyrockets but Layoffs Rage? Here is the 2026 Economic Paradox You Must Watch Out For! • 21 Januari 2026 - Shopee & Tokopedia Admin Fees Skyrocket! Government Prepares "Shield" to Save MSMEs in 2026 • 20 Januari 2026 - The Principal Purpose Test Mechanism in Indonesia’s International Tax Governance: An Analysis of Minister of Finance Regulation Number 112 of 2025 • 20 Januari 2026 - The New Paradigm of International Tax Compliance: In-Depth Analysis of Treaty Abuse Prevention Criteria in Minister of Finance Regulation Number 112 of 2025 • 20 Januari 2026 - Treaty Abuse Prevention Mechanisms in Minister of Finance Regulation Number 112 of 2025 • 20 Januari 2026 - Indonesia's Economy Accelerates, But Watch Out for Rupiah Jitters and Massive Land Seizure! • 20 Januari 2026 - Millions Rush to File Tax Returns, Finance Minister Ready to Crush Rogue Companies and Corrupt Officials! • 19 Januari 2026 - Investments Hit Quadrillions, Beware the Ticking Time Bomb of Unemployment! • 15 Januari 2026 - Watch Out! 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Director General Bimo's Stern Ultimatum After KPK Sting Rocks Tax Office • 12 Januari 2026 - Taxpayer Claims Wages Below PTKP, Appeal Rejected: Tax Court Affirms New Evidence is Inadmissible Post-Examination! • 12 Januari 2026 - Triumph of Justice at the Tax Court: PTAB Successfully Nullifies VAT Administrative Sanctions
 
• 12 Januari 2026 - The PPh Article 23 Trap! Service Costs Recognized in Financial Statements, But Withholding Tax Forgotten: Here's the Consequence at the Tax Court • 12 Januari 2026 - Foreign Money Rains Rp 1 Trillion in New Year, Govt Speeds Up Rp 335 T Free Meals Amidst Superflu Threat! • 12 Januari 2026 - DJP Table Slam: Erasing "Bag-Carrier" Culture to Hunting Ghost Taxpayers! • 12 Januari 2026 - Fighting the Salary Equalization Trap: PT AT Indonesia’s Strategy to Annul the Majority of PPh Article 21 Corrections at the Tax Court • 12 Januari 2026 - Beware! Failure to Segregate Services and Goods, Multi-Billion WHT 23 Correction Confirmed, Only a Small Portion Granted by the Tax Court • 12 Januari 2026 - Tax Assessment Letter Worth Billions Completely Cancelled! Key to Taxpayer Victory in Forestry Sector: Production Volume is Not Proof of Sales • 12 Januari 2026 - Severance Pay, Leave Compensation, and Final Article 21 Income Tax: What the Tax Authority Often Gets Wrong • 12 Januari 2026 - The Importance of Article 23 Income Tax Exemptions: Analysis of a Tax Court Ruling on Financial Services and Shipping Services. • 11 Januari 2026 - Goodbye JIBOR! Here is BI's "New Weapon" Ready to Overhaul the Money Market Starting 2026 • 08 Januari 2026 - Bang! Prabowo Officializes 2026 State Budget, Purbaya Hunts Sweetened Beverage Excise to Export Duties for Rp2,693 Trillion • 08 Januari 2026 - Chasing Crypto Assets to Bank Accounts, Purbaya Prepares Strategic Moves to Secure 2026 State Cash • 07 Januari 2026 - No Place to Hide! Purbaya Closes Tax Haven Gaps and Hunts Down Unregistered Taxpayers  • 06 Januari 2026 - DGT Peeks Into Your Crypto Wallet! 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Beware of Recharacterization of Affiliate Services as Disguised Dividends! • 20 Desember 2025 - The 3-Month Deadline as Key to Tax Finality: Why PT AKJ's Lawsuit Was Rejected After Attempting to Re-Challenge the Same SKP • 19 Desember 2025 - Fiscal Dynamics at Year-End: Tax Target Pressures and Coretax System Modernization • 18 Desember 2025 - Budget Absorption Dynamics and Weakening Domestic Consumption: Fiscal Challenges Toward Year-End • 18 Desember 2025 - Administrative Modernization and Fiscal Liquidity Challenges: Strategies for Completing the 2025 Tax Target • 17 Desember 2025 - Monetary Stability and Long-Term Growth Projections: BI Interest Rate Policy and Responses to Global Recommendations • 17 Desember 2025 - Year-End State Revenue Dilemma: Tax Shortfall Pressures and Strategic Commodity Sector Oversight • 16 Desember 2025 - Job Quality and Fiscal Tightening: Middle-Class Living Challenges and Budget Efficiency Strategies • 16 Desember 2025 - Commodity Sector Policy and Tax Base Strengthening: ASEAN Tax Ratio Evaluation and PTKP Threshold Stagnation • 15 Desember 2025 - Warning: A Paid VAT-FTS Payment Slip Can Be Non-Creditable! Case Study on Affiliated Manpower Costs from Korea • 15 Desember 2025 - VAT on Management Fee Paid a Year Late: Tax Court Rejects PT FI's Appeal Due to Incorrect Tax Period on BPN • 15 Desember 2025 - Crucial Victory for PT AGN: FPSO Classified as Tangible Asset Group III, Cancels Rp99 Billion Correction • 15 Desember 2025 - Monetary Stability and Economic Growth Projections: BI Interest Rate Policy, Debt Security, and Year-End Consumption Momentum • 15 Desember 2025 - Fiscal Dilemma and Compliance Enforcement: Efforts to Curb Deficit Amid Low National Tax Ratio • 14 Desember 2025 - Lawsuit Granted! When a Taxpayers Objection is Flatly Rejected for an Erroneous Administrative Reason • 12 Desember 2025 - Trade Diplomacy and Digital Transformation: 2029 Export Targets, RI-US Relation Certainty, and AI Innovation in Import Oversight • 12 Desember 2025 - Trade AI Technology and Tax Law Enforcement: Finance Minister Tightens Borders and DJP Detains Non-Compliant Taxpayers • 11 Desember 2025 - RI-US Trade Risk and Food Price Hikes: Russia Cooperation Strengthens, Government Asked to Fix Import System • 11 Desember 2025 - Tax Revenue Challenges and PTKP Review: DJP Gives Up on Shortfall, Cigarette Excise 2026 Confirmed Not to Rise • 10 Desember 2025 - Global and Domestic Economic Threats: RI-US Cancellation, Trump Tariffs, and Trillions in Illegal Mining Losses • 10 Desember 2025 - Fiscal Dilemma and Oversight Tightening: Gold Export Duty Takes Effect, Tax Compliance Drops, and Export Foreign Exchange is Centralized • 09 Desember 2025 - Challenges to Economic Growth and Investment Policy: 6% Growth Dream Deemed Unrealistic • 09 Desember 2025 - Fiscal Trade-Off Policy: Sweetened Beverage Excise Postponed Pending 6% Growth, SEZ Tax Incentives Successfully Attract 351 Companies • 08 Desember 2025 - Fiscal Consolidation and BUMN Restructuring: Finance Minister Prepares Merger Incentives and Coal Export Duty Collection • 08 Desember 2025 - Revenue Strategy and BUMN Incentives: Finance Minister Cancels Sweetened Beverage Excise, Imposes Export Duty on Coal and Gold • 05 Desember 2025 - Fiscal Oversight Tightened: LNSW Strategy to Counter Underinvoicing and Digital Tax Modernization • 05 Desember 2025 - Fiscal and Monetary Strategy: Debottlenecking Task Force, Countering Illegal Imports, and BI's Crisis Immunity Formula • 04 Desember 2025 - Tightened Oversight and Digital Tax Extension: Tax Authority Audits Thousands of Corporations and Appoints Roblox • 04 Desember 2025 - Strengthening Fiscal and Real Sectors: LNSW Strategy Creates Logistics Efficiency and BI Gets New Mandate • 03 Desember 2025 - Sluggish Investment Prompts Tax Incentives and Deregulation: Business Demands Customs System Fix Amidst OECD's VAT Expansion Suggestion • 02 Desember 2025 - Internal TNMM: A Cost-Effective and Simple Method to Avoid Transfer Pricing Corrections • 02 Desember 2025 - Winning an Appeal Due to Different Dates: Tax Court Decision Annuls PT AAC's Rp. 1.4 Billion Final Income Tax SKPKB • 02 Desember 2025 - Threat of Global Interest Rates 2026–2027 Triggers Debt Cost Risk: BI Prepares Digital Rupiah Amidst Weakening Exports • 02 Desember 2025 - Customs Reform and Tightening Mining Compliance: From Threat of Freezing to Bonded Zone Regulation Loopholes • 01 Desember 2025 - Reaffirming the Limits of Correction Authority under Article 16 of the General Taxation Provisions (UU KUP) Case of PT OSS – Decision • 01 Desember 2025 - Food Inflation Triggers Price Hikes, Trade Balance Surpluses US$2.39 Billion: Prabowo's Priority Budget and Indonesia's Strategic BRICS Membership • 01 Desember 2025 - Tax Extensification and Law Enforcement: DJP's Ultimatum to Palm Oil Giants, QRIS Expansion, and Coal Export Duty • 01 Desember 2025 - The New Era of Tax Audits: Digital Transformation and Online Procedures under PMK Number 15 of 2025 • 30 Nopember 2025 - Considered Final Consumption, Input Tax on Employee Welfare Facilities in the Form of Employee Housing in Remote Areas Rejected by the Tax Court • 30 Nopember 2025 - Huge VAT Correction Annulled! 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Tax Court Annuls a Rp. 10 Billion Correction • 24 Nopember 2025 - National Tax Revenue Faces Peak Year-End Challenges • 24 Nopember 2025 - National News Narrative: Policy Consolidation and Energy Transition Challenges • 21 Nopember 2025 - Issues of Integrity and Tax Compliance: Corruption, Tax Amnesty, and Excise Performance • 21 Nopember 2025 - Slowing Liquidity and Business Security Threats: A Spotlight on Capital Outflow and Purchasing Power • 20 Nopember 2025 - Indonesia's Fiscal Pressure and External Deficit: Spotlight on Slow Government Spending and Nickel Investment • 19 Nopember 2025 - NPWP Branch vs. NPWP Head Office Dispute: The Story of PT BB's Final Income Tax PPh • 19 Nopember 2025 - Indonesia's Monetary and Fiscal Policy Direction: Anticipating Global Uncertainty and Strengthening Digital Transactions • 19 Nopember 2025 - Fiscal Dynamics and Legal Reform: The Challenge of Tax Revenue and Strengthening Indonesia's Investment Climate • 18 Nopember 2025 - Rupiah Anomaly and Under-Invoicing Cost State; BI Projected to Hold Interest Rate, 6% Flat KUR Boosts MSMEs • 18 Nopember 2025 - Carbon Tax Threatens Energy Prices; Government Strengthens Law (Common Law) and Coal Export Duty Amidst Permanent 0.5% MSME Tax • 17 Nopember 2025 - Key Developments: Increased KUR Disbursement, BUMN Investment Expansion, and Strategic Energy Policy • 17 Nopember 2025 - Strengthening State Revenue: From Internal Sanctions to Artificial Intelligence Weaponry • 16 Nopember 2025 - Strength of Transactional Evidence: Analysis of PT HI's Decision on the Cancellation of the VAT Taxable Income Tax (DPP) Correction Due to Equalization and Cash Flow Testing • 13 Nopember 2025 - Strengthening Investment, Risk of Losing Rp1,300 T in Tax Revenue • 12 Nopember 2025 - Tax Data Reform, BI Strategic Agenda, and Vape Regulation • 11 Nopember 2025 - Losing the Proof, Winning Partially: PERUM B’s Crucial Lesson in PPh 22 Dispute Arising from VAT Data Discrepancy • 11 Nopember 2025 - Reimbursement Costs Rejected by DJP but Accepted by the Tax Court: The Key to Proving Business Relevance • 11 Nopember 2025 - Consumption Tax Declines, DJP Prepares Single Profile with Customs; Retail Sales Predicted to Rise • 10 Nopember 2025 - Tax Reform and Redenomination Issues Color Economic Optimism • 07 Nopember 2025 - Crypto Tax Rises, Government Reviews Diaper Excise Amidst Stimulus Push • 06 Nopember 2025 - Global Tax Targets E-Money, Regions Ramp Up Tax Digitalization • 05 Nopember 2025 - The Court Cancels the Rp112 Billion Correction: The Directorate General of Taxes Inconsistency in Rejecting the Comparable Companies is Deemed Unfounded • 05 Nopember 2025 - VAT Dispute on Fixed Asset Disposal (Article 16 D) • 05 Nopember 2025 - Taxpayer Wins Against Customs: Full Acceptance of Customs Value, Import Duty Declared Zero. The Key to Successfully Defending the Transaction Value Method. • 05 Nopember 2025 - Zero Tax for PBG: Determination of Withholding Agents for Income Tax Article 23 in Freight Forwarder Transactions • 05 Nopember 2025 - SPPTDLN System Prepared, Featuring Blocking Option and Tax Incentives • 04 Nopember 2025 - Train Subsidies for Farmers & Discussing Trump Tariffs, Indonesian Inflation Declines • 03 Nopember 2025 - Final Income Tax for MSMEs Made Permanent, Finance Minister Prepares Illegal Cigarette Excise Amidst Gen Z Consumption Shift • 31 Oktober 2025 - Issuing Tax Invoices Based on BAPPB (Berita Acara Pemeriksaan dan Penerimaan Barang) Dates? 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UMSI • 09 Oktober 2025 - DGT Collects Rp18 Trillion from Tax Delinquents Using PPATK Data, Amid E-commerce Tax Delay and Demand for MSME Debt Write-Off Extension • 08 Oktober 2025 - Cost of Goods Sold Dispute of PT AT: When Accounting Evidence Is Not Convincing Enough for the Tax Judge • 08 Oktober 2025 - PT AT's "Other" Business Expenses: An Expensive Lesson from the "Trash Can" Account in Tax Court • 08 Oktober 2025 - Regional Tax Hikes Loom and Severance Tax Sued at Constitutional Court: Coordinating Ministry and Economists Urge Governance Improvement Amid Weakening Consumption • 07 Oktober 2025 - E-Faktur Data Alone Is Not Enough: Tax Court Annuls PPh 23 Correction Based on Third-Party Data in the Case of PT PL • 07 Oktober 2025 - Differing Functions of Comparable Companies: Tax Court Annuls DJP's Transfer Pricing Correction • 07 Oktober 2025 - Threat of Tax Shortfall Amid Record Economic Uncertainty; Ministry of Finance Secures Revenue Through Stable Excise and Data-Based Tax Audits • 06 Oktober 2025 - Sales Incentive is Not an Award: Tax Court Annuls PPh Article 23 Correction on Volume Discounts PT PL • 06 Oktober 2025 - Goods or Services Transaction? PPh Article 23 Risk on PT PL's Custom Label Sticker Procurement PT PL • 06 Oktober 2025 - Tax Oversight Intensifies Amid Economic Uncertainty • 02 Oktober 2025 - Fiscal Focus on Investment and Tourism Amid Digital Tax and Rupiah Challenges • 01 Oktober 2025 - Early October 2025 Dynamics: From Dollar Strength and Tax Rates to Regional Vehicle Tax Incentives • 30 September 2025 - Fiscal Strategy and Tax Compliance Dynamics Ahead of 2026 • 29 September 2025 - Finance Minister Freezes 2026 Tobacco Excise and E-commerce Tax While Chasing Massive Tax Arrears • 27 September 2025 - Tax for the Super-Rich in Europe • 26 September 2025 - Freeport Crisis Response: Tax Office Tightens Mining Oversight and Prepares 100% VAT DTP for Property • 25 September 2025 - Rupiah Falls Under Fiscal Pressure; Government Extends Housing VAT Discount While Reviewing Tobacco Excise • 24 September 2025 - IEU-CEPA Becomes a New Growth Engine Amid Tax Shortfall Risks • 23 September 2025 - Facing Tax Deficit, Government Prioritizes Capital Repatriation and DJP Quality Reform • 22 September 2025 - Fiscal Dynamics: Rejection of Tax Amnesty, Excise Oversight, and Industry Challenges • 19 September 2025 - Government Raises 2026 State Budget Deficit, Prepares Inheritance Tax and Reviews Tobacco Excise • 18 September 2025 - Government’s Economic Response: BI Cuts Interest Rate and Indonesia Signs Trade Deal with the EU • 17 September 2025 - Economic Target Revision and Fiscal Reform: Early Signals from Prabowo’s Administration • 15 September 2025 - Government Confident in Meeting Tax Target, Prepares to End EV Incentives and Faces Global Minimum Tax Dilemma • 12 September 2025 - Amid Economic Slowdown, Government Confirms Global Minimum Tax Implementation • 11 September 2025 - Tax Revenue Drops, Government Prepares Stimulus and Electric Motorcycle Incentives • 10 September 2025 - Investment in SEZs Soars, Government Reviews GloBE Tax and Develops ZNT for Revenue Optimization • 09 September 2025 - Market Response to Cabinet Reshuffle and Tax Complexity: Between Digitalization and Regional Innovation • 08 September 2025 - Employee Income Tax Proposed to Change: Between Equity and the Risk of Job Discrimination • 04 September 2025 - Amidst Public Protests, the Government Guarantees No Tax Hike Until 2026 • 04 September 2025 - Taxation and Inequality: Why a Wealth Tax is Considered Important Amidst Excise and Law Enforcement Issues • 02 September 2025 - Three Sides of Indonesian Tax: Crypto Tightened, UMKM Waiting, and Legitimacy Questioned • 01 September 2025 - Synergy of Fiscal and Monetary Policy: Addressing Indonesia's Economic Challenges • 01 September 2025 - Social Turmoil and Economic Threat: How Demonstrations Affect Investor Confidence and Fiscal Stability • 29 Agustus 2025 - Behind Economic Optimism: Inflow of Foreign Capital and Caution over Household Consumption Slowdown • 27 Agustus 2025 - Indonesia's Economic Dilemma: Rising Rice Prices and Debt Burden Overshadow US Trade Deal • 26 Agustus 2025 - National Economic Struggle: Government Boosts Property, Manufacturing Sluggish, Regions Achieve Fiscal Autonomy • 08 Agustus 2025 - PER-15/PJ/2025: Analyzing the New Tax Regulations for Digital Commerce in Indonesia • 08 Agustus 2025 - Competent Evidence: The Heart of Accountability and Fairness in Tax Audit
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Home Publication & Consultation Article 4 Shocking Facts About Indonesia’s PMK 172 Transfer Pricing Rules Every Business Should Know

4 Shocking Facts About Indonesia’s PMK 172 Transfer Pricing Rules Every Business Should Know

Taxindo Prime Consulting
Monday, December 01, 2025 | 13:34 WIB
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4 Shocking Facts About Indonesia’s PMK 172 Transfer Pricing Rules Every Business Should Know

Executive Summary:

  • Strict Method Hierarchy: Transfer pricing methods cannot be chosen freely; PMK 172 mandates companies to follow a strict hierarchy, prioritizing price-based methods (CUP/CUT) over profit-based methods.
  • Mandatory Use of Internal Comparables: If available, comparable transactions conducted by the company itself with independent parties (Internal Comparables) must be prioritized and used as the best benchmark.
  • Diverse TP Doc Triggers: The obligation to prepare TP Documentation arises not only from turnover thresholds but also from specific transaction values exceeding limits, or the existence of affiliated transactions with low-tax jurisdictions.

 

Transfer pricing regulations, particularly with the issuance of the Minister of Finance Regulation (PMK) Number 172 of 2023, often feel incredibly complex for business owners and finance professionals. Thick rulebooks and technical jargon can make anyone feel overwhelmed.

However, beyond the obvious regulations, there are several crucial principles that are often overlooked yet have a significant impact on a Company’s tax compliance. Understanding these nuances is key to avoiding the risk of major tax corrections.

This article will distill that complexity and present the four most surprising and impactful facts regarding Indonesia's transfer pricing rules into a concise and easy-to-understand list.

 

1. The Method Hierarchy is Rigid: Companies Cannot Simply Choose the Easiest Option

Many assume that a Company is free to choose the Transfer Pricing Method (TP Method) for which data is most easily readily available. In reality, PMK 172 establishes a strict hierarchy or order of priority.

Simply put, methods that most directly compare prices or transactions, such as the Comparable Uncontrolled Price (CUP) and Comparable Uncontrolled Transaction (CUT), are given the highest priority. Subsequently, gross profit-based methods like the Resale Price Method (RPM) and Cost Plus Method (CPM) take precedence over net profit-based methods like the Profit Split Method (PSM) and Transactional Net Margin Method (TNMM).

The bottom line is that a Company cannot immediately use TNMM simply because it is considered easier or because the data is more available. The Company must first prove and document why higher-priority methods (such as CUP, CUT, RPM, or CPM) cannot be applied or do not possess an equivalent level of reliability.

This rule is emphasized in the regulation:

If the CUP or CUT Method and other methods can be used and possess equivalent reliability, then the CUP or CUT Method takes precedence over the other methods.

This hierarchy forces Companies to base their pricing analysis on the most direct and relevant market evidence, not just broader profitability metrics. This makes the analysis more robust and accountable. This means finance teams must be proactive in searching for and testing evidence of comparable transactions (CUP/CUT) before considering profit-based analysis—a shift from "finding easy data" to "finding the most accurate evidence."

 

2. The Best Comparable Might Be "In-House"

When conducting transfer pricing analysis, Companies often immediately look for comparable data from similar external companies. However, there is a surprising rule that is frequently overlooked: the best comparable might already exist within the Company’s own financial statements.

This is called an "Internal Comparable"—transactions conducted by the Company itself with independent third parties. The regulation asserts that if a reliable internal comparable is available, its use must be prioritized over external comparables.

This key principle is stated very clearly:

Internal comparables must be selected and used as benchmarks in cases where both internal and external comparables are available with the same degree of comparability and reliability.

The reasoning behind this rule is very logical. Internal comparables are considered superior if the level of comparability is equal, because these transactions occur under the exact same business and economic conditions as the affiliated transaction being tested. This eliminates many complex variables (such as market differences, business strategies, or operational efficiencies) that often require complicated adjustments when using external comparables.

 

3. TP Doc Obligations Can Arise from Unexpected Transactions

The obligation to prepare Transfer Pricing Documentation (TP Doc) is often associated with company size, specifically a total annual gross turnover above IDR 50 Billion. While true, this is not the only trigger. There are two other triggers, based on data from the previous tax year, that often surprise many businesses:

  • Value per transaction type: The obligation to prepare TP Docs can arise if the value of affiliated transactions for a specific type of transaction exceeds the threshold, even if the Company’s total gross turnover is under IDR 50 Billion. The threshold is more than IDR 20 Billion for tangible goods, or more than IDR 5 Billion for transactions such as services, interest, or royalties.
  • Transactions with low-tax jurisdictions: This is the fact most often missed. If a Company conducts an affiliated transaction—regardless of its value—with a party located in a country with an Income Tax (PPh) rate lower than Indonesia’s, the obligation to prepare TP Docs arises automatically.

 

The impact is massive. Many small to medium-scale enterprises may have unwittingly violated this obligation because they focused solely on total annual revenue and were unaware of these specific transaction-based triggers.

 

4. It’s Not Just About Accounting, It’s About Economic Substance

PMK 172 emphasizes that transfer pricing is not merely an accounting issue, but a proof of the economic substance of an affiliated transaction. One of the clearest manifestations of this principle is the obligation to present segmented financial statements.

This obligation primarily applies if the Company has more than one business activity with different characterizations (for example, running a manufacturing segment alongside a distribution segment). In this case, the Company is required to "dissect" its income statement. The Company must separate every financial item (Sales, COGS, Operating Expenses, etc.) into columns for Affiliated Transactions and Independent Transactions.

This segmentation requirement is not a mere administrative burden; it is the absolute data foundation necessary to conduct a credible Functional, Asset, and Risk (FAR) Analysis. Without accurate separation between affiliated and independent transactions, any claim regarding value creation in the FAR Analysis will collapse because it is not supported by solid financial data.

It is this FAR Analysis that determines where value creation actually occurs. In fact, this analysis considers non-financial assets such as "market access and level of market dominance in Indonesia" as part of the evaluation.

 

Substance Over Form

Compliance with modern transfer pricing rules under PMK 172 is about demonstrating real economic substance, not just ticking formality compliance checklists. This regulation contains various nuances—ranging from a rigid method hierarchy to the priority of internal comparables—that demand deep attention to detail.

Ultimately, the most important thing is to ask yourself one fundamental question: "Does our current Transfer Pricing documentation truly reflect the economic reality and value creation within the Company’s business, or is it merely fulfilling compliance formalities?"

 

 

References

Minister of Finance Regulation Number 172 of 2023 concerning the Application of the Arm's Length Principle in Transactions Influenced by a Special Relationship (Peraturan Menteri Keuangan Nomor 172 Tahun 2023 tentang Penerapan Prinsip Kewajaran dan Kelaziman Usaha Dalam Transaksi yang Dipengaruhi Hubungan Istimewa).

Naufal Afif, M.Ak., BKP (B)., CA., APCIT., APCTP., ASEAN CPA.
Naufal Afif, M.Ak., BKP (B)., CA., APCIT., APCTP., ASEAN CPA.
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