The dispute between PT PSI and the Directorate General of Taxes (DGT) regarding the Corporate Income Tax for Tax Year 2021 highlights a classic issue: expense correction due to administrative failure and tax credit disallowance despite authentic evidence. The DGT corrected various items, including Negative Fiscal Adjustments arising from the assumption that PT PSI's income was final income, as well as corrections to entertainment and mobile phone expenses. The DGT argued that entertainment and mobile phone expenses were not deductible because PT PSI was deemed to have failed to prove that the corrected expenses were included and covered in the attached Nominative List. Furthermore, the DGT disallowed the PPh Article 22 tax credit on two import transactions. One of these PPh Article 22 corrections was upheld because the PPh Import payment was made outside the relevant tax year (post-Customs audit), violating the matching principle. Meanwhile, the other correction was successfully refuted by PT PSI, thus the correction was not upheld.
The Tax Court Judges decided to grant partially the taxpayer's appeal. The panel upheld the DGT's corrections on Entertainment and Mobile Phone Expenses, PPh Article 22 related to payments outside the tax year, and Final Income related expenses—all due to the taxpayer's failure to meet formal administrative requirements. On the other hand, the panel revoked the Negative Fiscal Adjustment correction (approximately Rp2.72 Billion) because PT PSI successfully proved that the income's substance was non-final. The panel also revoked the PPh Article 22 correction amounting to Rp113.52 Million because PT PSI was able to prove the possession and correct reporting of a valid Withholding Tax Certificate.
This ruling underscores a crucial point: substance without proper administration can lead to correction. Ordinary and reasonable expenses are rejected due to the failure to prove their inclusion in the nominative list. Similarly, a tax credit with valid substance may be rejected due to a failure of administrative timing, specifically being paid outside the correct tax year. This administrative and formal compliance failure led the panel to uphold total corrections amounting to Rp1.49 Billion. Conversely, expenses and tax credits can be successfully defended as long as the taxpayer maintains and can present strong and authentic administrative evidence, demonstrating that legal certainty and formal proof are the ultimate determinants of tax disputes.
A comprehensive analysis and the Tax Court Decision on This Dispute Are Available Here