Deductibility of Input VAT: Lessons from Sponsorship and Merchandise Costs
Deductibility of Input VAT: Lessons from Sponsorship and Merchandise Costs
The Input Value Added Tax (VAT) of PT P for expenditures closely related to marketing, such as sponsorship and the purchase of merchandise, was corrected by the Directorate General of Taxes (DGT). The DGT strictly adheres to a narrow interpretation of Article 9 paragraph (8) letter b of the VAT Law, which requires that Input VAT must have a direct relation to the business activities. In the DGT's view, these promotional expenditures are merely supporting, not essentially resulting in the taxable supply of Output VAT.
A conflict of perspectives emerged regarding the definition of direct relation: the Taxpayer argued that marketing is at the core of competitive business activities, and sponsorship is a vital strategy to increase Output VAT through sales volume. Conversely, the DGT demanded a more measurable and direct correlation, rather than just general business benefits.
In its assessment, the Panel of Judges this time adopted a conservative stance and chose to uphold the DGT's correction on this item. Although the Panel acknowledged the important role of marketing, they concluded that the Appellant failed to meet the very strict burden of proof. The Taxpayer could not provide sufficient convincing or measurable evidence of how each sponsorship cost explicitly and directly contributed to the taxable supply of Taxable Goods/Taxable Services (BKP/JKP) that incurred Output VAT. This ruling serves as a crucial lesson: Promotional expenditures that fall into a "grey area" must be supported by strong, quantitative internal justification documentation that expressly links the costs to the tax-generating income activities, in order to avoid future Input VAT corrections.
The comprehensive analysis and full judgment on this dispute are available here